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2. REDOMESTICATION OF CAPTIVES. BACKGROUNDREASONS TO REDOMESTICATETYPES OF OPERATIONSTAX ISSUES STRUCTURES ALTERNATIVESGENERAL BUSINESS ISSUESREGULATORY ISSUESCORPORATE ISSUESGROUP CAPTIVES. 3. REASONS TO REDOMESTICATE. GEOGRAPHICDECISION TO MOVE ONSHOREPATRIOTICTRIAOTHER (NOTE: TRAPPED LOSSES)PROVISIONS IN STATE LAWLLC CAPTIVE (REITS)NOT-FOR-PROFIT PROVISIONS (CHARITY)RENT-A-CAPTIVE.
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1. 1 NEVADA CAPTIVE INSURANCE ASSOCIATION REDOMESTICATION OF CAPTIVES
INTO NEVADA
CLARK COUNTY LIBRARY
LAS VEGAS, NEVADA
FEBRUARY 24, 2006
P. BRUCE WRIGHT, ESQ.
PARTNER
LeBOEUF, LAMB, GREENE & MacRAE LLP
2. 2 REDOMESTICATION OF CAPTIVES BACKGROUND
REASONS TO REDOMESTICATE
TYPES OF OPERATIONS
TAX ISSUES
STRUCTURES ALTERNATIVES
GENERAL BUSINESS ISSUES
REGULATORY ISSUES
CORPORATE ISSUES
GROUP CAPTIVES
3. 3 REASONS TO REDOMESTICATE GEOGRAPHIC
DECISION TO MOVE ONSHORE
PATRIOTIC
TRIA
OTHER (NOTE: TRAPPED LOSSES)
PROVISIONS IN STATE LAW
LLC CAPTIVE (REITS)
NOT-FOR-PROFIT PROVISIONS (CHARITY)
RENT-A-CAPTIVE
4. 4 REASONS TO REDOMESTICATE REGULATORY CONCERNS
DOMICILE MAY CHANGE ITS POSITION ON TYPE OF BUSINESS
DECISION TO INCREASE/DECREASE UNRELATED BUSINESS
5. 5 TYPES OF OPERATIONS TERMINOLOGY
FOREIGN
ALIEN
FOREIGN CAPTIVE INSURANCE COMPANY
FOREIGN SPONSORED CAPTIVE
FOREIGN CELL
6. 6 TYPES OF OPERATIONS ALIEN CAPTIVE INSURER
ALIEN CAPTIVE INSURER WITH DOMESTIC (IRC § 953(d) ELECTION
ALIEN CAPTIVE INSURER WITH ENGAGED IN TRADE OR BUSINESS ELECTION (IRC §953(c)(3)(C))
ALIEN CELL
7. 7 STRUCTURE ALTERNATIVES MERGER
CORPORATE ENTITY MOVES WITH ALL ATTENDANT ASSETS AND LIABILITIES
ASSUMPTION REINSURANCE
CEDANT AGREES TO LOOK ONLY TO NEW CAPTIVE AND RELEASE OLD CAPTIVE
OLD CAPTIVE CEDES RESERVES AND RISK PREMIUM TO NEW CAPTIVE
REINSURER RELEASED BY OLD CAPTIVE AND AGREES TO PAY TO NEW CAPTIVE
8. 8 STRUCTURE ALTERNATIVES ASSUMPTION REINSURANCE
OLD CAPTIVE IS LEFT WITH CAPITAL AND TRADE LIABILITIES
OLD CAPTIVE IS LIQUIDATED
RUN OFF OF OLD CAPTIVE
OLD CAPTIVE IS MAINTAINED AND RUNS OFF EXISTING BOOK OF BUSINESS
9. 9 STRUCTURE ALTERNATIVES RUN OFF OF OLD CAPTIVE
REINSURANCE (WITH CONTINGENT PROFIT COMMISSION)
THIRD PARTY
NEW CAPTIVE
FORMATION OF NEW CAPTIVE WHICH INSURES/REINSURES ALL NEW BUSINESS
10. 10 BUSINESS CONSIDERATIONS MERGER
UTILIZATION OF EXISTING CAPITAL
COMPARATIVE REDUCTION OF ONGOING EXPENSE
LIKELY NOT AVAILABLE IF EXISTING OPERATION IS A CELL OR SPONSORED CELL
ASSUMPTION REINSURANCE
MAY REQUIRE INFUSION OF CAPITAL
11. 11 BUSINESS CONSIDERATIONS ASSUMPTION REINSURANCE
MAY NOT BE PRACTICAL IF CONSENTS ARE NOT AVAILABLE FROM ALL INSUREDS
DIRECTORS & OFFICERS
UNRELATED BUSINESS
OTHER
12. 12 BUSINESS CONSIDERATIONS RUN OFF OF OLD CAPTIVE
MOST FLEXIBLE
ADDITIONAL CAPITAL NECESSARY FOR LONG TERM
ADDITIONAL EXPENSE
MANAGEMENT
ACTUARY
ACCOUNTING
13. 13 FOREIGN (U.S.) CAPTIVE STRUCTURES
MERGER, ASSUMPTION REINSURANCE AND RUN OFF CAPTIVE ARE ALL GENERALLY AVAILABLE
MERGER
FEDERAL TAX ISSUES
STRUCTURE AS A TAX-FREE REORGANIZATION (USUALLY A STATUTORY MERGER)
REDOMESTICATION (“F REORG”)
GENERALLY NO U.S. FEDERAL TAX IMPLICATION
14. 14 FOREIGN (U.S.) CAPTIVE STRUCTURES
MERGER, CON’T
REGULATORY ISSUES
CONSENT IN JURISDICTION OF OLD CAPTIVE (“OC”)
FILING WITH INSURANCE DEPARTMENT OC
FINAL REPORTS, TAX RETURNS IN OC
FORMATION OF NEW CAPTIVE (“NC”) IN NEVADA OUTLINING BUSINESS PLAN, PROPOSED MERGER, ETC.
15. 15 FOREIGN (U.S.) CAPTIVE STRUCTURES
MERGER, CON’T
CORPORATE ISSUES
PLAN OF MERGER
APPROVAL BY BOARDS OF OC AND NC
FILING OF CERTIFICATE OF MERGER IN BOTH OC AND NC JURISDICTIONS
FILING OF APPROVAL OF INSURANCE DEPARTMENTS (SOMETIMES)
16. 16 FOREIGN (U.S.) CAPTIVE STRUCTURES
ASSUMPTION REINSURANCE
TAX ISSUES
MAY BE TREATED AS TAX-FREE REORGANIZATION, SEE PVT LTR RULS. 9541025, 9335045
STRUCTURED AS A REINSURANCE TRANSACTION
17. 17 FOREIGN (U.S.) CAPTIVE STRUCTURES
ASSUMPTION REINSURANCE
REGULATORY ISSUES
CONSENT IN OLD CAPTIVE JURISDICTION
APPROVAL IN NEVADA IN CONNECTION WITH FORMATION OF NEW CAPTIVE
LIQUIDATION OF OLD CAPTIVE
CONSENTS BY ALL INSUREDS
CONSENTS BY MULTIPLE JURISDICTIONS IF DIRECT BUSINESS
18. 18 FOREIGN (U.S.) CAPTIVE STRUCTURE
RUN OFF OF OLD CAPTIVE
REGULATORY ISSUES
RUN OFF OF OLD PROGRAM
ASSUMPTION REINSURANCE WITH THIRD PARTY
COMMUTATION
CORPORATE ISSUES
FORMATION OF NEVADA ENTITY
LIQUIDATION OF OLD ENTITY (ULTIMATE)
ESTABLISHMENT OF ELIMINATION OF LIABILITIES
ASSUMPTION/COMMUTATION
19. 19 FOREIGN (U.S.) CAPTIVE STRUCTURE
RUN OFF OF OLD CAPTIVE
TAX ISSUES
PROFIT OR LOSS IN NEW ENTITY CONSOLIDATED
REGULATORY ISSUES
NOTIFICATION IN OC JURISDICTION OF CESSATION
FORMATION OF NEW CAPTIVE
CAPITAL
NEW POLICIES
NEW PROGRAMS
REINSURANCE OF OLD PROGRAMS(?)
20. 20 FOREIGN (U.S.) CAPTIVE REDOMESTICATION
MOVEMENT OF CORPORATE ENTITY
REQUIRES COMAPRABLE LOCAL LAW
TREATED AS AN F REORGANIZATION FOR TAX PURPOSES
21. 21 FOREIGN (U.S.) SPONSORED CAPTIVE OR CELL STRUCTURES
MERGER (NOT AVAILABLE)
ASSUMPTION REINSURANCE
RUN OFF
22. 22 ALIEN (NON-U.S.) CAPTIVE STRUCTURAL ISSUES
MERGER
REDOMESTICATION
ASSUMPTION REINSURANCE
RUN OFF
23. 23 ALIEN (NON-U.S.) CAPTIVE MERGER
ADDITIONAL REQUIREMENTS OF FOREIGN JURISDICTION, e.g., BERMUDA PUBLICATION ISSUES
STATUTORY MERGER PER TREAS. REG. § 1.368-2(b)(1)(ii) IF STATE LAW ALLOWS
STATUTORY MERGER MAY NOT BE AVAILABLE
B REORGANIZATION (EXCHANGE OF STOCK FOR STOCK, ACQUIRING COMPANY OBTAINS CONTROL)
24. 24 ALIEN (NON-U.S.) CAPTIVE MERGER
STATUTORY (CON’T)
C REORGANIZATION (EXCHANGE OF STOCK FOR SUBSTANTIALLY ALL OF THE PROPERTIES)
D REORGANIZATION (TRANSFER OF ASSETS TO ANOTHER CORPORATION, AFTER WHICH TRANSFEROR OR TRANSFEROR SHAREHOLDER IS IN CONTROL, IF ASSETS OF ACQUIROR ARE TRANSFERRED PURSUANT TO A PLAN)
25. 25 ALIEN (NON-U.S.) CAPTIVE MERGER
REDOMESTICATION (F REORGANIZATION – CHANGE IN IDENTITY, FORM, OR PLACE OF ORGANIZATION)
TAX ISSUES
IMMEDIATE TAXATION OF ANY UNTAXED EARNINGS AND PROFITS, IRC § 367(b)
IF WRITING ONLY POST-1986 OF NON-DOMICILE RISKS (WHETHER RELATED OR NON-RELATED) LIKELY NO TAX ISSUE
NOTE: GROUP CAPTIVE PRE-1986
NOTE: SINGLE PARENT CAPTIVE PRE-1984
26. 26 ALIEN (NON-U.S.) CAPTIVE WITH DOMESTIC ELECTION CORPORATE AND REGULATORY FOLLOW ALIEN (NON-U.S.) WITHOUT A DOMESTIC ELECTION
TAX FOLLOWS FOREIGN (U.S.) CAPTIVE
27. 27 ALIEN (NON U.S.) CAPTIVE WITH ELECTION UNDER IRC § 953(c)(3)(C) CORPORATE AND REGULATORY FOLLOW ALIEN (NON-U.S.) WITHOUT A DOMESTIC ELECTION
TAX FOLLOWS ALIEN (NON-U.S.) EXCEPT FOR REPORTED INCOME (i.e., RPII)
28. 28 ALIEN (NON-U.S.)CELL OPERATION CORPORATE AND REGULATORY FOLLOW FOREIGN CELL
TAX
REPORTED INCOME
NON-REPORTED INCOME
RUN OFF OPTION
29. 29 GROUP CAPTIVES GROUP CAPTIVE CONCERNS
SOURCE OF MEMBERSHIP/NON-LIABILITY RISKS
MAINTAIN NO TAX ON NON-U.S. PARTICIPANTS WITH NO 953(c)(3)(C) ELECTION
30. 30 GROUP CAPTIVES GROUP CAPTIVE CONCERNS
SOURCE OF MEMBERSHIP/NON-LIABILITY RISKS
FACILITATE ACCESS THROUGH FORMATION OF A RISK RETENTION GROUP
SUBSIDIARY
31. 31 GROUP CAPTIVES GROUP CAPTIVE CONCERNS
SOURCE OF MEMBERSHIP/NON-LIABILITY RISKS
FACILITATE ACCESS THROUGH FORMATION OF A RISK RETENTION GROUP
BROTHER/SISTER
32. 32 GROUP CAPTIVES GROUP CAPTIVE CONCERNS
MAINTAIN NO TAX ON NON-U.S. PARTICIPANTS WITH NO IRC 953(c)(3)(C) ELECTION
OFFSHORE CAPTIVE
RPII APPLICATION TO U.S. SHAREHOLDERS
IRC § 953(c)(3)(C) COMPANY LEVEL TAX ON RPII
ADDITION OF RRG
ACCESS TO MEMBERSHIP IN U.S.
FOREIGN RISK REMAINS IN FOREIGN CAPTIVE