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Captive Insurers

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Used by large corporations with sophisticated risk management programs ... Cayman Islands. Vermont. Guernsey. Types of Captives. Pure Captives ... – PowerPoint PPT presentation

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Title: Captive Insurers


1
Captive Insurers
  • What is a Captive Insurance Company
  • Types of Captives
  • Historical Development
  • Reasons for Growth
  • Taxation of Captives
  • Captive Functions
  • Risk Retention Act of 1986
  • Current Issues Regarding Captives

2
What is a Captive Insurance Company?
  • Established to insure the risks of the parent
    company
  • A form of self-insurance
  • Used by large corporations with sophisticated
    risk management programs
  • Used by companies with unusual or hard to insure
    risks
  • Captive insurers are alternatives to buying
    insurance from a traditional commercial insurer

3
Prime Locations for Captives
  • Bermuda
  • Cayman Islands
  • Vermont
  • Guernsey

4
Types of Captives
  • Pure Captives
  • Insure the risks only of its parent company and
    its affiliates
  • Association Captive
  • Established by a group of independent but
    similar companies to write coverage on those
    companies

5
Historical Development
  • Earliest captives 1800s
  • Railroads
  • New England textile manufacturers (Factory
    Mutual)
  • Formed to obtain coverage at reasonable prices
  • Later trend 1950s
  • U. S. companies transforming to multinationals
  • Next expansion 1960s
  • Property insurance availability problems
  • Growth in 1970s and 1980s
  • Medical malpractice market
  • Product liability market
  • Risk Retention Act of 1986

6
Reasons for Growth
  • Tax benefits
  • Insurance availability problems
  • Reduced cost of insurance
  • Improved cash flow
  • Profit center
  • International capital market movements

7
Taxation of Captives - 1
  • Insurance companies can deduct losses when they
    occur
  • Non insurance corporations can only deduct losses
    when they are paid
  • Insurance premiums paid by corporations to
    commercial insurers are tax deductible
  • Income earned by U.S. corporations is taxed by
    the U.S.
  • Income earned by foreign corporations is taxed
    (or not) by that country

8
Taxation of Captives - 2
  • Ideal tax position
  • Parent company deducts premiums paid to captive
  • Captive insurer deducts losses when incurred
  • Parent is not taxed on income of foreign captive
    until profits repatriated (brought back to the
    U.S.)
  • Unfortunately for corporations, this ideal
    position is not allowed

9
Taxation of Captives - 3
  • Premiums paid to a captive are not deductible
    unless the captive is a true insurance company
  • A captive is not a true insurance companies
    unless it
  • Writes substantial amounts of coverage with
    unrelated entities (Sears Allstate)
  • Is group owned
  • Taxation of Foreign Captive Income
  • Tax Reform Act of 1986
  • Current taxation of income

10
Captive Functions
  • Fronting Company Arrangements
  • A licensed insurer writes the coverage and
    reinsures all or almost all of it with the
    captive
  • Obligations of the fronting company
  • Captives as Reinsures
  • Parent companys risk
  • Unrelated risks
  • Problems of mid-1980s
  • Rent-A-Captive

11
Current Issues Regarding Captives - 1
  • United Parcel Service
  • UPS captive, Overseas Partners Ltd, held to be a
    tax dodge
  • UPS liable for 65 million in taxes for 1984
    (300 million including interest and penalties)
  • Class action lawsuit for 14 billion for
    insurance fraud relating to captive
  • Claims that UPS overcharged shippers for
    insurance from captive

12
Current Issues Regarding Captives - 2
  • Gold Medal Insurance
  • Captive of General Mills
  • Refused to pay a claim for 169 million for
    pesticide contaminated grain
  • General Mills sued Gold Medal
  • Verdict for General Mills
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