Simˈpōzēəm
Gideon Benari, Editor, Solvency II Wire
The treatment of long-term guarantees (LTG) remains key to the successful implementation and application of Solvency II. It raises questions about market consistent valuation of assets and liabilities and has far reaching implications for long-term investment in the wider economy, beyond the more immediate effect on insurance firms.
Solvency II brings much needed reform to the regulation of the insurance industry in Europe, introducing a market consistent and risk based framework. Under the new regulation insurers will be required to value the whole of the balance sheet on a market consistent basis and to hold enough capital to meet their liabilities based on this valuation.
Because the present value of future liabilities is calculated based on current market prices there is a danger that if these prices do not reflect economic reality the valuation of the liabilities will be distorted. In other words, extreme circumstances today could warp the value of liabilities that will only have to be paid long into the future. And because the present value of future liabilities determines the amount an insurer has to set aside to meet the liabilities this distortion could result in one of two negative outcomes: undercapitalisation or overcapitalisation.
Undercapitalisation means insurers may not be able to meet their future obligations. Overcapitalisation means insurers will be less able to attract long-term funds. While the former will affect policyholders and insurance firms, the latter will affect the wider economy because of the role of the insurance industry as a long-term investor. The problem for policymakers is how to provide adequate protection for consumers without detracting from this vital role of the insurance industry.
The symposium
The LTG conundrum began to crystallise after the effects of the global downturn and the European sovereign debt crisis became apparent. The results of QIS5, published in March 2011, also showed the potential effect on the balance sheet of insurers. Firms realised that adverse market conditions would severely increase the amount of regulatory capital they would have to hold in respect of long-term guarantee products. Matters escalated after the ECON vote on in March 2012 with the Parliament’s proposal to move the LTG package of measures to the Level 1 text of Omnibus II.
So far there has been little public debate on LTG, a topic on which so far there has also been little academic work. On 23 June 2012 a group of leading academics published an article, which acknowledges the case for adjusting the rules, but strongly criticising the underlying principles of the measures under proposal (see below for detailed explanation). The LTG Symposium brings together three responses in an attempt to both clarify the issue and expand the scope of the debate.
In the opening response Olav Jones, Deputy Director General, Insurance Europe argues the case for the insurance industry and why it has supported a broader package of LTG measures. Seamus Creedon, Solvency II Project Manager, Groupe Consultatif offers an actuarial perspective. Lastly, the measures are examined from a macro-prudential perspective in an article by Francesco Mazzaferro, Head of ESRB Secretariat and Jeroen Brinkhof, member of ESRB Secretariat. The symposium will conclude with a reply to the three articles.
A number of related articles will be included in the symposium to broaden its scope and address more technical aspects.







