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Securitization of Insurance Liabilities

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... reinsurance regulations and guidelines Principle 4: ... particularly the nature and degree of risk transferred Principles for Securitization Principle 3: ... – PowerPoint PPT presentation

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Title: Securitization of Insurance Liabilities


1
Securitization of Insurance Liabilities
  • IP-34 CIA Annual Meeting
  • Vancouver, June 29, 2007
  • Allan Brender

2
Canadian Experience
  • Limited to three applications
  • All three dealt with life insurance only
  • Two of these applications were dropped
  • The primary reasons were due to high expense and
    to tax problems
  • The third application was not approved by OSFI

3
Canadian Experience
  • Purposes for securitization proposals vary
  • Realize embedded future profits
  • Reduce the cost and complexity of reinsurance
    arrangements
  • Modify ownership structure
  • Proposals for Special Purpose Reinsurers vary
  • Arms length SPV
  • Controlled SPV
  • Income trust

4
Canadian Experience
  • Degree of transfer of risk and protection for SPR
    varies
  • Stop loss and retrocession arrangements with
    third party reinsurers
  • Instruments sold to unit holders may carry a
    credit guarantee (issued by a bank)
  • Risk is ultimately carried by trust unit holders

5
Concerns and Issues
  • Institutional investors are concerned about
    OSFIs Reinsurance Trust Agreement
  • RTA gives OSFI the right to seize all assets held
    in the trust in case of business failure
  • Proposed capital instruments may not qualify as
    regulatory capital or as Tier 1 capital
  • Retained control over the insuring entity
    requires consolidation of financial requirements

6
Concerns and Issues
  • Risk may not be fully transferred to trust unit
    holders
  • Who is bearing the risk
  • Regulation is incomplete
  • No legislative provision for SPRVs (are SPRVs
    regulated insurers?)
  • Can an income trust own a federally regulated
    financial institution?

7
OSFIs Current View
  • Few and varied proposals
  • Each requires a detailed analysis
  • In the absence of significant interest and
    standard approaches to securitization in Canada,
    the is little incentive to develop regulations
    and supervisory guidance
  • There is little literature internationally
  • Two IAIS guidance papers (2003)
  • NAIC model law

8
Principles for Securitization
  • Principle 1 Securitization must not hamper
    the interests or rights of policyholders
  • Principle 2 The accounting, actuarial and
    capital treatment should reflect the terms of the
    transaction, particularly the nature and degree
    of risk transferred

9
Principles for Securitization
  • Principle 3 Transactions must not be designed
    to circumvent capital rules, reinsurance
    regulations and guidelines
  • Principle 4 Capital instruments created in the
    transaction must meet the criteria set out in the
    MCCSR and MCT guidelines to qualify as regulatory
    capital

10
Review of Proposals
  • Proposals must include sufficient information and
    analysis of all important aspects, including
    legal, capital, risk etc.
  • OSFI will review all serious proposals
  • May be subject to a user fee, depending upon the
    volume of necessary work
  • OSFI does not promote insurance securitization
    but also does not discourage it

11
Thank you for your attentionwww.osfi-bsif.gc.
ca
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