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The Coming IFRS for Insurance Accounting

The Coming IFRS for Insurance Accounting. Michael G. McCarter, FCAS, MAAA Vice President, AIG CAMAR, Philadelphia June 5, 2008. Introduction. Prelude – the rise of the standards setters The perfect storm for international accounting standards IASB Insurance Contracts Phase II

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The Coming IFRS for Insurance Accounting

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  1. The Coming IFRS for Insurance Accounting Michael G. McCarter, FCAS, MAAA Vice President, AIG CAMAR, Philadelphia June 5, 2008

  2. Introduction • Prelude – the rise of the standards setters • The perfect storm for international accounting standards • IASB Insurance Contracts Phase II • FASB, the SEC, and you • EU Solvency II, the IAIS, and the NAIC • Conclusion: Brave new world, or the Emperor’s new clothes? • A little about GNAIE

  3. Prelude – the rise of the standards setters • Old style standards setter: FASB • FASB is delegated its authority to set standards for U.S. GAAP by the SEC • SEC retains practical authority over some significant areas of U.S. GAAP • SEC is in Washington, DC and may be influenced by Congress and the President

  4. Prelude – the rise of the standards setters • New style standards setter: (surprise) the NAIC • The NAIC had no authority to be a standards setter. It is not a regulator, but a trade association for regulators. • However, in the accounting codification project it took the status of insurance regulatory accounting standard setter from the states who had responsibility

  5. Prelude – the rise of the standards setters • The NAIC demonstrates the power of “agreeing to agree” • It is now the most important U.S. regulatory accounting standards setter • Since it is not a part of government, it has problematic standards of due process • Through the accreditation process, it can exercise influence over state governments

  6. Prelude – the rise of the standards setters • Another new style standards setter: the IASB • Descended from old IASC founded in 1973 (older than FASB) • No official delegated authority from any government (to start with) • Acted with alacrity to take advantage of perceived need for international standards

  7. The perfect storm • Asian financial crisis 1998 • Caused G8 to issue ritual call for improved accounting standards and reporting • Old IASC recognized an opportunity • Old IASC “standards” merely collected more commonly used national options for various accounting standards

  8. The perfect storm • New IASC project to revise its standards to select the best, “principles-based” approach • Project coincided with EU need for EU-wide accounting standards • IASC reorganized itself into the IASB to meet U.S. (FASB and SEC) objections as to its process and funding

  9. The perfect storm • Once the IASC/IASB had done what the U.S. said it should, the U.S. was committed to work with the IASB towards the obvious goal of a single world-wide set of high quality accounting standards • Another example of the power of “agreeing to agree”

  10. The perfect storm • EU agrees to adopt IASB IFRS effective January 1, 2005 (even though no complete set of IFRS existed when adopted, when implemented, or even today) • “Norwalk Agreement” in 2002 commits FASB and the IASB to work towards “convergence” of U.S. GAAP and IFRS

  11. The perfect storm • IASB lauded itself on its “principles-based” standards that would not be subject to the abuses of the “rules-based” FASB approach • Multiple major projects (Conceptual Framework, Revenue Recognition, Financial Statement Presentation) amount to re-building car while racing around the track

  12. The perfect storm • Breaking News! • FASB, SEC no longer interested in “converging” U.S. GAAP and IFRS • Instead they are working to have the U.S. adopt IFRS on a date certain, probably January 1, 2013 • More on this later

  13. IASB Insurance Contracts Phase II • Old IASC had never completed an insurance contracts accounting standard • Recognized as a major need, but the new IASB could not complete an insurance accounting standard in time for the EU IFRS implementation • IASB developed IFRS 4 (Insurance Contracts Phase I) as a placeholder

  14. IASB Insurance Contracts Phase II • IASB issued “Discussion Paper: Preliminary views on insurance contracts” in May 2007 • Comments were due November 16, 2007 • FASB also issued the discussion paper with a “wraparound” asking for comments as to whether FASB should take up the insurance contracts accounting project as well

  15. IASB Insurance Contracts Phase II • Over 160 comment letters filed, many with serious concerns • Following are some of the major issues covered by the “DP” • Note: The “DP” approach is based on “principles” that have nothing to do with the ideas underlying current U.S. GAAP (or SAP either) for insurance

  16. IASB Insurance Contracts Phase II • Measurement of insurance liabilities is to be on a “market consistent” basis using a “current exit value” (CEV) approach • CEV may not be the same as “fair value”, but to date no difference between CEV and “fair value” has been identified • CEV based on three “building blocks”: current estimates, time value of money, market risk and service margins

  17. IASB Insurance Contracts Phase II • Current estimates: explicit, unbiased, market-consistent, probability-weighted current estimate of contractual cash flows • Discount rates based on current market interest rates to apply to these cash flows • Explicit and unbiased estimates of margins that market participants would require to bear risk (risk margin) and to provide services, if any (service margin)

  18. IASB Insurance Contracts Phase II • Margins are not “entity specific” – they are to reflect a market participant, not the specific insurer being accounted for • Margins reflect the pooling of similar risks in a portfolio, but not the diversification benefits of other portfolios of the insurer • Insurance liabilities should reflect their own credit standing (as assets)

  19. IASB Insurance Contracts Phase II • Question: Liabilities don’t trade – they are settled. Why is “market-consistent” a relevant consideration for liabilities? • Question: There is no benchmark for ever verifying the correct “market risk margin” for a liability. How does this “mark-to-unverifiable-model” add reliable information for investors?

  20. IASB Insurance Contracts Phase II • Question: Insurers are obliged to settle claims in accordance with contract terms. Why should liability valuations be reduced by the “own credit stance” when the insurer cannot benefit from that haircut? • Question: If we accept “market consistent” for argument’s sake, why is no diversification credit allowed when markets, rating agencies, and even solvency regulators recognize the validity of the concept in many circumstances?

  21. IASB Insurance Contracts Phase II • Question: Why should an insurer use a “market participant” service margin lower than its actual costs that generates an artificial day one profit at inception only to reverse as the actual service costs emerge? • Question: Why are life and non-life insurance presumed to use the same accounting treatment when no existing accounting system treats them together and the relative underwriting and investment risks are very different?

  22. IASB Insurance Contracts Phase II • Question: Why is the whole discussion focused on balance sheets when management and investors are at least equally concerned with performance measurement (notably for non-life underwriting results and combined ratios)? • Question: Why is there no plan for serious testing of these proposals before simply requiring them for one of the world’s major industries?

  23. IASB Insurance Contracts Phase II • Question: Why allow Day One Gains on insurance contracts when there has been no release from risk and the services promised have not been provided? • Insurance Working Group met in April 2008 to begin providing the IASB with its advice on these questions

  24. IASB Insurance Contracts Phase II • Industry wants increased field testing and communications • May cause exposure draft to be pushed from 2009 to 2010 or later • Comments and final standard 2010 or later • Will set insurance reporting framework for decades

  25. FASB, the SEC, and you • “I only do business in the U.S., so I don’t have to worry about the IASB IFRS for insurance contracts” • Incorrect. FASB and the SEC are now working to replace U.S. GAAP with IFRS • “But I’m a mutual and don’t use U.S. GAAP” • What happens to SAP if U.S. GAAP disappears?

  26. FASB, the SEC, and you • FASB will reduce itself from 7 to 5 members as of July 1, 2008 • The FASB Chair will gain agenda setting authority at that time • FASB will decide whether to participate in the Insurance Contracts Phase II project during the third quarter of 2008 • The IASB wants FASB’s participation

  27. FASB, the SEC, and you • SEC Proposed Rule released July 2, 2007 • “Acceptance from Foreign Private Issuers of Financial Statements Prepared in Accordance with International Financial Reporting Standards without Reconciliation to U.S. GAAP” • Adopted! Reconciliations no longer required

  28. FASB, the SEC, and you • SEC Concept Release on August 7, 2007 • “Concept Release on Allowing U.S. Issuers to Prepare Financial Statements in Accordance with International Financial Reporting Standards” • Decision expected in the near future • Might be affected by potential for U.S. switch to IFRS

  29. FASB, the SEC, and you • Semi-annual joint IASB/FASB meeting in April 2008 • Discussed “mandatory adoption of IFRS in all major capital markets” by 2013 • Considered what accounting standards should be completed before mid-2011 “quiet period” starts

  30. FASB, the SEC, and you • Most important issues include Revenue Recognition, Fair Value Measurement, and Financial Statement Presentation (not Insurance Contracts) • But IASB continues to work on Insurance Contracts project since they are in the middle of it and they have no real current Insurance Contracts standard

  31. FASB, the SEC, and you • SEC Chair Cox now chairs IOSCO Technical Committee • Developing revised governance structure for IASB to give worldwide securities regulators (including the SEC) a role • Chairman Cox appears to see replacement of U.S. GAAP with IFRS as a major “legacy” of his chairmanship

  32. FASB, the SEC, and you • U.S. GAAP likely to be replaced by IFRS by 2013 (with option for sooner) • Most likely there will be a new IFRS for Insurance Contracts for implementation by that time • If not, EU insurers may develop their own “improved” insurance contracts standard for use with Solvency II

  33. EU Solvency II, the IAIS, and the NAIC • As the EU adopted (mostly) the IASB’s IFRS to unify accounting standards across its member states, it is now adopting the Solvency II directive to unify insurance regulation • Solvency II is designed around the three pillars of capital requirements, regulatory examinations, and disclosure requirements that were pioneered for banks under Basel II • Solvency II is designed to provide EU insurers with competitive regulatory advantages over non-EU insurers

  34. EU Solvency II, the IAIS, and the NAIC • Solvency II has two required capital calculations, the Solvency Capital Requirement (SCR) and the Minimum Capital Requirement (MCR) • SCR tends to be based on internal models that use concepts similar to the IASB’s CEV concept • SCR is intended to represent the amount of capital required to make the probability of failure 0.5% or 1 in 200 years. • MCR is intended to be a simpler formula approach

  35. EU Solvency II, the IAIS, and the NAIC • Issue: Should solvency measurements and financial reporting measurements be the same? • Not necessarily – “different horses for different courses” • Accounting makes entities comparable across industries, while solvency focuses on insurance • Solvency considers cat exposure, accounting only cats that have happened

  36. EU Solvency II, the IAIS, and the NAIC • Issue: Should equally secure insurers be treated the same way, no matter where they are located? • Yes, if you are interested in market competition to serve consumers • EU Solvency II may disadvantage U.S. insurers by claiming U.S. insurance regulation does not meet their standards • Implication: Less diversification credit for U.S. insurers

  37. EU Solvency II, the IAIS, and the NAIC • The IAIS is developing international standards and best practices for insurance regulation • It appears to be largely modeling its approach on that of the EU • The NAIC participates on IAIS committees • The NAIC may be helping to build standards that will come back to haunt it

  38. EU Solvency II, the IAIS, and the NAIC • No country but the U.S. has a separate regulatory accounting system for insurance • Other countries use general purpose accounting for insurance regulatory purposes • Thus, the IAIS has taken an active interest in the IASB insurance contracts project as likely to affect reports used by their members

  39. EU Solvency II, the IAIS, and the NAIC • The IAIS develops comments on various IASB proposals • The NAIC provides comments to the IAIS to influence the development of those comments • The NAIC is being encouraged to also comment directly to the IASB since the NAIC represents regulators of the world’s largest insurance marketplace

  40. EU Solvency II, the IAIS, and the NAIC • When FASB and the IASB agree on an insurance contracts accounting standard, that standard will become the de facto global insurance regulatory standard, even if it confuses solvency regulation • Accordingly, the pressure for U.S. insurance regulators to adopt it will be intense • Therefore, it is important to fix the IASB proposal now if you’re going to be unhappy with it as either a general purpose or regulatory accounting standard

  41. Brave new world, or the Emperor’s new clothes? • Standard setters not responsible to anyone save themselves have increasing roles in the global marketplace • The IASB has embraced the untested “mark to model” CEV version of fair value as the right means of accounting for insurance liabilities, even though they’ve made no attempt to verify that it is an effective accounting approach for insurance

  42. Brave new world, or the Emperor’s new clothes? • What is the value of “market consistency” when insurance liabilities do not trade? • Why is no attention paid to key management measures of non-life insurance performance such as underwriting profit or combined ratio? • Why is there no plan for testing and validating these proposals before implementing them?

  43. Brave new world, or the Emperor’s new clothes? • The result of the Insurance Contracts Phase II project will be coming to financial statements near you, probably through U.S. adoption of IFRS to replace U.S. GAAP • When that happens, it is likely insurance regulatory accounting will move the same way

  44. Brave new world, or the Emperor’s new clothes? • Insurance solvency regulation need not follow insurance accounting standards, but right now they are running in parallel • The CEV approach to liability valuation has serious issues when applied to solvency • If you care, comment! Now is the time!

  45. GNAIE Strategies • Support development of a single set of high quality international accounting standards for insurance contracts • Work to inform and educate interested parties and encourage active participation and comment on these issues • Work to build bridges and encourage common action to better communicate the importance of these issues

  46. GNAIE Strategies • Example GNAIE action: Provided 5 discussion papers to IASB IWG after its April meeting. The topics were: • Settlement Value – Life and Non-Life • Field Testing • Day One Profit • Risk Margins

  47. WWW.GNAIE.NET • News of significant international accounting standards and solvency regulation developments • Comment letters submitted by GNAIE to various bodies • Reports and studies prepared by or on behalf of GNAIE in regard to international accounting and solvency issues

  48. ACE AIG Allstate AXIS Capital Genworth Financial The Hartford Lincoln Financial Manulife Financial MetLife New York Life PartnerRe Ltd. Principal Financial Prudential Financial RenaissanceRe Sun Life Financial Travelers XL Capital GNAIE Member Companies

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