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CIA Annual Meeting Assemblée annuelle de l’ICA

CIA Annual Meeting Assemblée annuelle de l’ICA. June 29 & 30, 2006 Ÿ Les 29 et 30 juin 2006 Ottawa, Ontario. Today’s Session 1. New Life Actuary MCCSR Opinion (Denis Ricard) 2. Revised DCAT Education Note & SOP (Wally Bridel & Isabelle Perigny).

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CIA Annual Meeting Assemblée annuelle de l’ICA

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  1. CIA Annual MeetingAssemblée annuelle de l’ICA June 29 & 30, 2006 Ÿ Les 29 et 30 juin 2006 Ottawa, Ontario

  2. Today’s Session 1. New Life Actuary MCCSR Opinion (Denis Ricard) 2. Revised DCAT Education Note & SOP (Wally Bridel & Isabelle Perigny)

  3. CIA Risk and Capital CommitteeMCCSR / TAAM certification by Denis Ricard

  4. Background information MCCSR/TAAM has evolved => more interpretation or technical calculations OSFI • Looking for increased certification • Has asked the CIA to look at a formal certification Support by: • CIA Board • AA committee • Committee on Risk Management and Capital Lead to increase in role of AA

  5. Committee on Risk Management and Capital • The committee has developed a new MCCSR certification standard and an accompanying educational note • The new standard and the educational note have been approved by the Committee on Risk Management and Capital • Exposure draft sent to members in Nov 2005 • Few comments by CIA members • Revised document approved by PSC May 17th 2006 • Effective for fiscal year 2006

  6. Opinion Actual opinion: "I confirm that I have read the relevant guideline and annual return reporting instructions issued by the Office of the Superintendent of Financial Institutions and that this form is completed in accordance with them" • Annual opinion: must be signed by the AA and one officer • Quarterly: requires signature of a company officer

  7. Opinion New additional annual opinion by the actuary: 2480 Certification of regulatory capital filing .06 I have reviewed the calculation of the Minimum Continuing Capital and Surplus Requirement ratios of [Company name] as at [Date]. In my opinion, the calculation of the components of the required and available capital has been determined in accordance with the regulatory guidelines, and the components of the calculation requiring discretion were determined using methodologies and judgment appropriate to the circumstances of the company.

  8. Opinion New additional annual opinion by the actuary: 2480 Certification of regulatory capital filing .06 For Test of Adequacy of Assets in Canada and Margin Requirements form filings “Minimum Continuing Capital and Surplus Requirement ratios”, and “required and available capital” are replaced by “Test of adequacy of margin”, and “required and available margin”. For filings for provincially regulated companies, the ratio definition and definitions of required and available resources should be amended to reflect the appropriate definitions in the provincial requirements.

  9. Opinion New additional annual opinion by the actuary: 2480 Certification of regulatory capital filing .01 This subsection applies to the AA of a life insurer when giving an opinion on the appropriateness of capital requirement calculations pursuant to law. .02 The certification should contain an opinion signed by the actuary.

  10. Opinion New additional annual opinion by the actuary: 2480 Certification of regulatory capital filing .03The actuary should prepare a memorandum to support the opinion that outlines the areas where the calculation required discretion or significant technical calculations, and the methodologies and judgments that were applied.

  11. Opinion New additional annual opinion by the actuary: 2480 Certification of regulatory capital filing .05 the actuary is not opining on whether the underlying factors or specified methods to be followed are appropriate but rather on the appropriateness of any interpretation and discretionary technical calculations and methods with respect to such guidelines.

  12. Educational note Provide guidance: • Appropriate practice • Documentation in memorandum • How to interpret the guidelines

  13. Educational note - Memorandum • Support of the Opinion • Areas where the AA has applied material judgement or performed technical calculations • Outline specific issues, explain the interpretation and the underlying rationale • Not intended to be long and detailed (high level) • Prepared as a note to file from the appointed actuary

  14. Educational note Examples of areas of interpretation: • risk pass-through • participating insurance • index-linked products • seg fund guarantees • new mortality risk formula • reinsurance

  15. CIA Risk and Capital CommitteeDCAT Wally Bridel Isabelle Périgny

  16. Overview of Session • Background and reasons for updating the DCAT Ed Note • Changes to Ed Note • Changes to Standards of Practice • P&C Risk Categories • Life Risk Categories • Next steps

  17. Background • Review of DCAT Ed Note initiated by PCFRC in 2003 • Life representation from RMCR committee began in summer 2004 • Joint effort between PCFRC and RMCR • Consensus of opinion between CIA, OSFI, AMF, Assuris (formerly CompCorp)

  18. Reasons for Updating the Ed Note • Update DCAT Ed Note to be consistent with current SoP • Update for changes in the regulatory capital measures for P&C companies • Add emphasis on risk management and presentation to the Board • Incorporate feedback from DCAT survey • Reflect current best practices

  19. DCAT Survey • Objective of DCAT: about 75% mentioned risk management information to Board or Chief Agent • 50% receive 0-2 comments/questions from Board • More than 80% of actuaries felt DCAT was effective for analyzing risks to the company, but • About 40% of actuaries believe that management sees little or no value • Also received views on key elements of a useful DCAT report/presentation

  20. Outline of Revised Ed Note Preface I. Introduction II. Method III. Modeling IV. Reporting Appendix A - Regulatory capital requirements Appendix B - Life Risk Categories Appendix C - P&C Risk Categories

  21. The Heart of the Ed Note The Method section describes the process that would, generally, be followed in conducting the DCAT analysis • Review of recent operations • Develop base scenario • Examine and identify risk categories • Develop plausible adverse scenarios • Key scenarios and ripple effects • Stress testing • Integrated scenarios • Possible management actions

  22. The Heart of the Ed Note The Modeling section discusses the considerations in building and testing the model to be used in the DCAT analysis • Validating modeled financial information to actual financial results • Validating year to year flow under the base scenario • Reasonableness under plausible adverse scenarios

  23. Changes to the Ed Note Emphasis has been added on the key components of a DCAT analysis • Developing base scenario • Developing and analyzing the impact of plausible adverse scenarios • Identifying and analyzing the effectiveness of risk mitigation • Reporting to the Board

  24. Changes to the Ed Note Base scenario may still be consistent with business plan, while recognizing • Actual recent experience • New OSFI requirements in E-15 • Assumptions different from those expected in the plan • Recent management decisions which may not have been anticipated in plan • Impact on future experience of the above • Differentiate between factual and subjective changes

  25. Changes to the Ed Note Capital injections or changes to capital distributions may be assumed in the base scenario, provided • They are anticipated and agreed to by company management • They are feasible given company circumstances • Clear reporting of assumptions made on capital injections and capital distributions is essential

  26. Changes to the Ed Note • Forecast period extended from 2 to 3 years for P&C companies • SoP 2530.07 changed accordingly

  27. Changes to the Ed Note Development of plausible adverse scenarios • More emphasis on 95th to 99th percentile range • Draw on stochastic work where available • For others, variation in experience study results • Stress testing • P&C: less prescriptive than before

  28. Changes to the Ed Note In analyzing impact of plausible adverse scenarios: • Additional capital resources would generally not be considered • However, in limited instances where adverse factors are more under management’s control (e.g. sales) it may be appropriate to assume capital injections or change in capital distributions • Management actions should be considered • Clear reporting of assumed management actions or capital assumptions is essential

  29. Changes to the Ed Note • Ripple effects • Include: • Changes in base scenario assumptions that may no longer be appropriate • Insurer’s expected response • Policyholder actions • Regulatory actions • Rating agency actions • Changes in capital injections or distributions • Specific ripple effects are outlined in each risk category • Actuary should report on potential regulatory or rating agency actions but does not need to their model financial impact. • SoP 2530.18 to .20 changed accordingly

  30. Changes to the Ed Note • Modeling section • More detail on level of accounting information the model should produce • Reasonableness of results under plausible adverse scenarios, including ripple effects • Use results of stochastic modeling in DCAT analysis (i.e., not stochastic DCAT) • Modeling of ripple effect automatic or manual • Draw from economic capital work to build adverse scenarios

  31. Changes to the Ed Note Reporting section • Emphasize the primary audience is Board or Chief Agent • Audience also includes management and regulator • Increased guidance on key elements of a good DCAT report • Tailor to Board requirements and interests

  32. Changes to the Ed Note Key elements in the report are: • Executive Summary • DCAT Opinion • Introduction • Capital Adequacy Measure • Background Discussion • Base Scenario • Adverse Scenarios • Conclusions and Recommendations • Appendices

  33. SoP Changes Reporting on Risk Categories 2530.21 • CURRENT • The report would contain the key assumptions of the base scenario and the plausible adverse scenarios posing the greatest risk to the satisfactory financial condition of the insurer. The report would also include comments on each of the risk categories identified in this standard. The meaning of satisfactory financial condition under this standard would be disclosed in the report. • PROPOSED • The report would contain the key assumptions of the base scenario and the plausible adverse scenarios posing the greatest risk to the satisfactory financial condition of the insurer. The report would disclose each of the risk categories considered in undertaking the DCAT analysis, including those identified in this standard. The meaning of satisfactory financial condition under this standard would be disclosed in the report.

  34. P&C Risk Categories – Grouping Changes SoP 2530.13 changed accordingly

  35. P&C Risk Categories – General Change General Structure – Each section lists examples of: • possible events or triggers • possible ripple effects • possible management actions more examples added for each Removing all references to specific percentages Moreguidance to determine the 95th to 99th percentile range

  36. P&C Risk Categories – Loss Frequency & Severity Risk • Added more sample events: • single major loss • social inflation (moved from old inflation risk category) • Changed Loss Ratio event to simple Frequency & Severity • wanted to keep premium effects as a separate risk category

  37. P&C Risk Categories – Policy Liabilities Risk (Formerly Misestimation of Policy Liabilities) Adjusted to reflect discounted reserves • Removed set percentages for stress-testing • Added suggestions on how to determine the 95th to 99th percentile range • analyze history of actual to expected loss development • fitting a model to loss development factors

  38. P&C Risk Categories – Inflation Risk • Clarified that this category is for inflation in costs extraneous to the insurance business (covered in risk category 1) • Social inflation moved to risk category 1 • Added a suggestion on how to determine the 95th to 99th percentile range • review of variation in 3-year band of CPI over time (3-year to match forecast period)

  39. P&C Risk Categories – Premium Risk (Formerly Pricing and Premium Volume) Old Pricing • Rate Freeze – moved to Government Action • Parameter Risk eliminated (since it applies to all risk categories) • Left with events related to competition and underpricing • similar to premium volume risk category • recommend combining the two risk categories New Premium Risk • Removed set percentages for stress testing • Two situations may create an adverse scenario: • Premium volume lower than base scenario • Premium volume higher than base scenario

  40. P&C Risk Categories – Expense Risk • Eliminated • Risk category had limited application • Most events are really ripple effects

  41. P&C Risk Categories – Reinsurance Risk • Added more guidance about items to consider that may impact company • Removed set percentages for stress-testing

  42. P&C Risk Categories – Investment Risk (Formerly Interest Rate and Deterioration of Asset Values) • Removed set percentages for adjustments to asset values • Added guidance on determining probability • analyze CIA Canadian Economic Statistics for 1-year variation equities or 3-year variation in interest rates (3-year to match forecast period) • use stochastic modeling if available

  43. P&C Risk Categories – Related Company Risk New A legal entity may run into difficulties due to difficulties encountered by another entity to which it is related. Simply put, the goal of this category is to evaluate the impact on the valued company (insurer) of circumstances happening in the related companies. Why is it important? • more globalization in the insurance industry • more consolidation in the insurance industry • more variety in corporate organizational structures

  44. P&C Risk Categories – Related Company Risk Possible events or triggers for the risk: • The company cannot rely on financial support from its parent company – when a group’s financial resources are needed to support a financially-impaired parent or affiliate company • The company must provide financial support to its parent company. This is equivalent to the first situation except that the funds the company expected to have for its own purposes are now needed to support other entities in the group • Disruptions in services provided by related companies or at a group level may stress the company’s ability to achieve its business plan • Rating agency downgrade reflecting difficult financial conditions at the group level.

  45. Life Risk Categories – Minor Changes • Mortality • Add death supported • Separate ripple effects from management action • Morbidity • Add examples specific to critical illness insurance • Separate ripple effects from management action

  46. Life Risk Categories – Minor Changes • Persistency/lapse • Cover both persistency and lapse • Added more causes and ripple effects • C1 • Suggestions on integrated scenarios • Add disability as a ripple effect • Add management actions

  47. Life Risk Categories – Minor Changes • Expense • Minor changes • Reinsurance • Added dispute over policy/treaty conditions • Government and political • Add cost shifting • Add distribution channels • Add ripple effects

  48. Life Risk Categories – Minor Changes • Off-Balance-Sheet • Add employee benefits and liabilities

  49. Life Risk Categories – Bigger Changes • C3 • Relax stress testing • Determining zero point may be impractical • Additional deterministic testing an option • Using higher percentile values from stochastic models an option

  50. Life Risk Categories – Bigger Changes • New business • Increased importance of higher than expected new business • Equal importance to higher than expected and lower than expected

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