1 / 14

4. Solvency II – Own Risk and Solvency Assessment (ORSA )

4. Solvency II – Own Risk and Solvency Assessment (ORSA ). Insurance and Reinsurance Stakeholder Group meeting 12 December 2011. Solvency II - ORSA. D evelopment process of EIOPA guidelines on ORSA General framework o bjectives and means d etails on the ORSA requirements

delta
Download Presentation

4. Solvency II – Own Risk and Solvency Assessment (ORSA )

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. 4. Solvency II – Own Risk and Solvency Assessment (ORSA) Insurance and Reinsurance Stakeholder Group meeting 12 December 2011

  2. Solvency II - ORSA • Development process of EIOPA guidelines on ORSA • General framework • objectives and means • details on the ORSA requirements • Towards a formal opinion from the Insuranceand Reinsurance Stakeholder Group

  3. Development process of EIOPA guidelines on ORSA 2008: CEIOPS Consultation Paper on ORSA November 2011 – 20 January 2012: Public consultation June 2011: Pre-consultation stakeholders meeting January-March 2011: Pre-consultationon draft guidelines Discussion with Insurance and Reinsurance Stakeholder Group IRSG to provide formal opinion by 20 January

  4. General framework • Solvency II Directive contains high-level principles • Recital 36 => important background information on ORSA • Art. 36 => ORSA will be reviewed by supervisor • Art. 45 => principles for the ORSA • Art. 246 => group ORSA • No Delegated Act details expected • Guidelines from EIOPA to specify the expectations

  5. Objectives of ORSA in Solvency II ORSA is a tool to improve the risk management of EU (re)insurers by • promoting a better understanding of the company’s overall solvency needs • disclosing sufficient and clear information on a company’s risk profile • enhancing the board responsibility not to take on more risks than the capital base is allowing.

  6. Itall starts from the top … It is a core responsibility of the board not to take on more risks than the capital base is allowing Share holder Share holder Share holder Owners Capital base Selection of representatives Capital for running the company e.g. mitigating risks Elected board Day-to-day operation Organisation

  7. Board of directors Business processes Executive team Employees Policies Strategy Delegation …and forms an integral part of the business strategy … Employees need to be “fit” to execute their tasks By written procedures Implementation Reporting Control Audit Commentary • What are the requirements corresponding to the risk appetite of the supervisory body? • The requirements reflect how important the individual elements are. Day to day business

  8. Identifying risks Quantification and mgt actions Undertaking specific stresses Decision on capital External stress Sensitivity analyses Going concern … by asking the right questions…. B: ”What are the risks that this company might face during the strategic planning period (e.g. 3-5 years)?” E: Delivers an overall picture of the risks pronounced in quantitative figures and qualitative terms Process steps B: Decision on which risks are mitigated by capital and which are mitigated by management actions only (e.g. reputational risk) E: B: Asks to quantify risks and develop suitable management actions for non-capital covered risks E: Quantifies risk by use of the organisation and develops suitable management actions B: “How robust is the assessment of risks? What is the quality of key processes involved (e.g. claims handling)? E: Conducts sensitivity analyses and calculates impact on capital needs B: “What are possible future scenarios that we will have to navigate and what is the likely impact?” E: Conducts undertaking specific stress tests and calculates impact on capital needs as well as developing suitable management actions B: “What external stresses have not been taking into account already?” E: Conducts external stresses, some of which might be contained in the SCR-calculation, and calculates impact on capital needs as well as developing suitable management actions B: “What are the key assumptions underlying going concern?” E: Identifies key assumptions Impact on SCR? B: “Is the resulting understanding of risks and assumptions reflected in the basis (assumptions, structure, model) for the standard SCR-calculation or internal model, respectively E: Evaluates impact and modifies SCR-calculation if needed B ꞊ Board of directors E ꞊ Executive team (by use of the organisation)

  9. Capital requirement Identifying risks Risk aggregation Insurance risk Credit risk Market risk Liquidity risk Operational risk Quantification and mgt actions Undertaking specific stresses Decision on capital External stress Sensitivity analyses Going concern … and finding the right solutions… Risk picture Overall solvency needs • Expressed in quantitative and qualitative terms • Connects business planning to overall solvency needs • Explicit identification of possible future scenarios • Managing external stress • Assess quality of processes and input Others “Proof” of SCR-calculation and with mgt. actions Meetwithcapital • Review assumptions for SCR-calculation • Review risk picture in SCR-calculation Management actions for future scenarios: Develop risk awareness and contingency planning on a regular basis Impact on strategy Impact on SCR? • Review assumptions for business model • Review control and governance

  10. … for “solo” undertakings and groups. • Scope of the group ORSA: • Includes third country undertakings, regulated non-EEA and non-regulated undertakings • Overall solvency needs of the group: • Covers all group-specific risks and interdependencies taking into account the specificities of the group • Key drivers of diversification • Group ORSA report: • Language of the Group RSR, in case of single possibility to rquire translation of solo parts for solo supervisors • For single ORSA report: explanation on how subsidiaries are covered and board has been involved in group ORSA

  11. To conclude: ORSA in a nutshell • ORSA is a riskmanagementprocessowned by theboardwhichchangesthe viewing angle from bottom-up to top-down and connects business strategy and capital planning. • Two main goals: The board should know that the company can “afford” its strategic plan 3-5 years ahead including bumps on the way and the board should know how to execute its strategic plan • Introducing ORSA is a demanding task for the board • There is no fixed recipe for an ORSA • ORSA is not an internal model, nor a capital add-on • ORSA is an integral part of the business strategy and needs to be performed at least annually, has to be performed whenever the risk profile changes significantly, has to be documented and has to be reportedinternally and to the supervisor

  12. Towards a formal opinion of the IRSG: areas of attention Style Question 1 Are the guidelines and recommendations clear and will they help the undertaking understand what they are expected to achieve under the requirements of the Solvency II Directive? Content Question 2 Are there any other areas in the scope of Articles 45 and 246 of the Directive where guidelines and recommendations would be useful? Question 3 Are there any practical or operational issues with the application process which can be identified by undertakings? If so, how could they be addressed?

  13. Areas for discussion with the IRSG Impact Question 4Do you agree with the analysis of the costs and benefits for the implementation of the guidelines and recommendations? Are there other costs and negative impacts EIOPA should consider? What benefits may flow from the proposed guidelines and recommendations? For example, what would be the potential impact of ORSA on the pricing, design and availability of insurance products, the corresponding effects for consumers and the wider social or economic impacts even if indirectly? • Other?

  14. Thank you!

More Related