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Mortgage Insurance and Lender Captives 2002 Casualty Loss Reserve Seminar (CLRS)

Presented by: Michael C. Schmitz, F.C.A.S., M.A.A.A. Principal and Consulting Actuary Milliman USA, Brookfield, Wisconsin. Mortgage Insurance and Lender Captives 2002 Casualty Loss Reserve Seminar (CLRS) September 24, 2002. Overview of Presentation.

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Mortgage Insurance and Lender Captives 2002 Casualty Loss Reserve Seminar (CLRS)

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  1. Presented by: Michael C. Schmitz, F.C.A.S., M.A.A.A. Principal and Consulting Actuary Milliman USA, Brookfield, Wisconsin Mortgage Insurance and Lender Captives 2002 Casualty Loss Reserve Seminar (CLRS) September 24, 2002

  2. Overview of Presentation • Background on Milliman’s typical role for lender reinsurers • Types of Reinsurance companies and structures/features • Regulatory issues • Accounting issues

  3. Milliman Role-Mortgage Reinsurance Front-End Role • Request lender’s historical MI data from the primary insurers • Conduct a portfolio risk analysis • Determine benchmark risk assumptions • Evaluate alternative structures • Conduct feasibility study – assist in set-up • Regulatory assistance • Risk transfer/pricing opinions

  4. Milliman Role-Lender Reinsurers - Ongoing Role • If Milliman not involved in up-front, consider: • Request lender’s historical MI data from the primary insurers • Conduct a portfolio risk analysis • Determine benchmark risk assumptions • Loss reserve analysis/opinion • Reinsurance Performance Metrics (RPM) services • Loan Reconciliation • Reinsured Risk Analysis/Segmentation • Economic Analysis • Benchmarking of experience • Forecasting of premium and losses • Miscellaneous assistance • Sounding board – ad hoc requests • Mortgage Reinsurance Conference (MRC)

  5. Types of Reinsurance Companies • Single parent captives • Sponsored Captives • Licensed Insurers

  6. Sponsored Captives • The sponsored captive allows lenders, through a participation agreement, to assume risk on loss performance of the mortgage loans the participant has insured with the sponsored captive’s parent company. • Sponsored captives are capitalized by mortgage insurers (parent) for participation by several lenders. • Lenders must contribute capital to support losses on their loans • Parent provides mortgage insurance to specific lenders who enter into participation agreements with the sponsored captive. • The lender receives a percentage of the mortgage insurance premium as a participation fee in return for assumption of part of the insured risk.

  7. Sponsored Captives • Each lender has a protected cell which separates the risks assumed by an individual lender from the risks of other participants (lenders). • Structure is different, but sponsored captives operate essentially the same as wholly-owned subsidiaries of lenders. • Sponsored captive enters into a reinsurance agreement with its parent, and assumes business written by its parent for the mortgage lender.

  8. Reinsurance Structures • Quota-share: pro-rata sharing of premium and losses • Excess of Loss: Reinsurer covers a layer of losses once the primary carrier's direct losses exceed an attachment point for a book year

  9. Reinsured LayerIn Relation to Gross Risk

  10. Risk Characteristics-Claims

  11. MI Reinsurance Regulations • Due to potential size of ceded reserves, it is important for MIs to be able to obtain reinsurance credit. • Contingency Reserve is currently largest issue • Security - Licensed or trust accounts or LOC’s with unaffiliated financial institutions.

  12. Trust Accounts • Reinsurer establishes a separate trust account for each mortgage insurer • Essentially all capital infusions, premiums, losses and expense cash flows go through the trust account. • Reinsurers typically maintain reinsurance arrangements with several different mortgage insurers • Separate trust for each

  13. Trust Accounts • Assets restricted for the sole use and benefit of the ceding mortgage insurer. • Cannot be drawn down to cover losses reinsured on behalf of other mortgage insurers. • If trust account depleted by losses, certain important remedies apply. • Excess funds in the trust account are eligible for release (and dividended to parent) subject to various restrictions.

  14. Complex Regulatory Environment • OCC/OTS/Federal Reserve regulate the ability of banks & thrifts to form captives • HUD regulates mortgage transactions and administers RESPA and TILA • The NYID regulates MI companies licensed in NY and most are • The captive’s state of domicile (e.g. Vermont) • Normal FASB & Tax rules - not unique to MI captives • Fannie Mae and Freddie Mac through eligibility guidelines

  15. RESPA (HUD) • The Real Estate Settlement Procedures Act is enforced by HUD and, more effectively, by the threat of specified civil remedies that include treble damages. • RESPA is broadly written: “no person shall give and no person shall accept any fee, kickback or thing of value [that is] incident to or part of a real estate settlement service…” • Exempts secondary market transactions which might include reinsurance. However, both the captive owner and the ceding MI are parties to the home purchase transaction itself. • August 6, 1997 letter from Nicolas Retsinas to Countrywide Funding (no legal standing but suggests how HUD may analyze captives under RESPA).

  16. HUD – August 6, 1997Letter from Nicolas Retsinas to Countrywide Funding • Two tiered approach to determining if specific reinsurance deals permissible • Red Flags - features that may cause HUD to scrutinize a deal more closely, e.g.,: • Consumer pays higher premium? • Lack of consumer disclosure? • Reinsurance conditioned on agreement to refer business • Two Part Test - for those deals where HUD determines more scrutiny is required: • I. Reinsurance actually provided - Risk Transfer • II. Compensation (net premium) commensurate with risk

  17. Accounting Issues • Risk Transfer • FASB 113: Reasonable possibility of substantial loss • AICPA task force\ • Attempted to develop a standard through Accounting Standards Executive Committee (AcSEC) • Informal sub-group • Reserving and Matching

  18. Reserving Practices for Mortgage Insurance Financials For Primary Company • Primary loss incurred when loan defaults (delinquent) • Primary company reserves only for current delinquencies • Known delinquencies (case reserves) • Unreported current delinquencies (IBNR) • Statutory contingency reserve

  19. Reserving Practices for Mortgage Insurance - Reinsurance • Excess of loss coverage on a book year basis • Reinsurers generally follow primary model • Reinsurer accrues when Primary (ground-up) incurred losses exceed attachment point • Cumulative paid losses + reserve for current delinquencies = cumulative incurred losses • Likely no losses for first 3-5 years for each aggregate excess of loss book year

  20. Reserving Practices for Mortgage Insurance - Matching • Deferred losses for excess of loss structures • However, premium is front loaded • Reflects declining insurance in-force for book year • Poor matching • Contingency reserve mitigates this on a statutory basis • Premium Deficiency Reserve if extreme on a cumulative run-off basis

  21. Illustrative Premium Earnings Pattern vs. Incurred Loss Pattern Incremental One Book Year 30.0% 25.0% 20.0% Percent of Ultimate 15.0% 10.0% 5.0% 0.0% 1 2 3 4 5 6 7 8 9 10 Run-off Year Premium Earnings Pattern Incurred Loss Pattern

  22. Reserving Practices for Mortgage Insurance • One way to better match would be to defer some of the premium in an UEPR • Has generally been rejected • Some reinsurers have considered booking an IBNR reserve for book year pooled projected losses to better match premium and losses (particularly on GAAP Statements) • Example: Loss ratio approach • Set aside a % of earned premium based on actuarial ultimate loss and premium expectations for each book year • Adjust based on revised projections • Mixed responses as to appropriateness of this approach • Must seek auditors feedback

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