Supervisory Statement SS12/16 Solvency II: Changes to internal models used by UK insurance firms

Similar documents
Supervisory Statement SS11/15 Solvency II: regulatory reporting and exemptions. March Appendix 2.11

Supervisory Statement SS1/17 Supervising international banks: the PRA s approach to branch supervision liquidity reporting.

Supervisory Statement SS15/16 Solvency II: Monitoring model drift and standard formula SCR reporting for firms with an approved internal model

Supervisory Statement SS15/15 Solvency II: approvals. March Appendix 2.15

Supervisory Statement SS6/16 Recalculation of the transitional measure on technical provisions under Solvency II

Supervisory Statement SS4/15 Solvency II: the solvency and minimum capital requirements. March Appendix 2.4

Supervisory Statement SS44/15 Solvency II: third-country insurance and pure reinsurance branches. November 2015

Supervisory Statement SS12/15 Solvency II: Lloyd s. March Appendix 2.12

Solvency II: ORSA and the ultimate time horizon non-life firms

Policy Statement PS9/19 Solvency II: Group own fund availability. March 2019

Consultation Paper CP23/14. Solvency II approvals

Credit risk mitigation

Consultation Paper CP9/18 Solvency II: Internal models modelling of the volatility adjustment

Supervisory Statement SS7/15 Solvency II: supervision of firms in difficulty or run-off. March Appendix 2.7

Aggregation of holdings for the purpose of prudential assessment of controllers

Policy Statement PS6/16 The PRA s approach to identifying other systemically important institutions (O-SIIs) February 2016

Policy Statement PS32/16 Responses to Chapter 3 of CP17/16 - forecast capital data. November 2016

PRA expectations regarding the application of malus to variable remuneration

Supervisory Statement SS7/17 Solvency II: Data collection of market risk sensitivities. October 2017

Supervisory Statement SS23/15 Solvency II: Supervisory approval for the volatility adjustment. October 2018 (Updating June 2015)

Policy Statement PS16/18 Changes in insurance reporting requirements. July 2018

Mutuality and with-profits funds: a way forward

Policy Statement PS7/18 Model risk management principles for stress testing. April 2018

Consultation Paper CP31/16 Solvency II: updates to SS25/15 and SS26/15

Policy Statement PS25/18 Solvency II: External audit of the public disclosure requirement. October 2018

Policy Statement PS36/16 Financial statements - responses to Chapter 3 of CP17/16. December 2016

Consultation Paper CP22/17 Solvency II: Supervisory approval for the volatility adjustment

Statement of Policy The PRA s approach to identifying other systemically important institutions (O-SIIs) February 2016

Policy Statement PS24/18 Solvency II: Updates to internal model output reporting. October 2018

Policy Statement PS12/16 Financial Services Compensation Scheme management expenses levy limit 2016/17. March 2016

Consultation Paper CP20/16 Solvency II: consolidation of Directors letters

Supervisory Statement SS40/15 Solvency II: reporting and public disclosure - options provided to supervisory authorities

Policy Statement PS12/18 Algorithmic trading. June 2018

Policy Statement PS3/18 International banks: the Prudential Regulation Authority s approach to branch authorisation and supervision.

Supervisory Statement SS1/16 Written reports by external auditors to the PRA. January 2016

Recovery planning. Supervisory Statement SS18/13. December 2013

REPORT FROM THE COMMISSION TO THE EUROPEAN PARLIAMENT AND THE COUNCIL

Supervisory Statement SS3/17 Solvency II: matching adjustment - illiquid unrated assets and equity release mortgages. July 2018 (Updating July 2017)

Supervisory Statement SS7/13. CRD IV and capital. December 2013

Policy Statement PS16/17 Dealing with a market turning event in the general insurance sector. July 2017

Policy Statement PS28/15 The PRA Rulebook: Part 4 and response to Chapter 1 of CP41/15. December 2015

Supervisory Statement SS7/14 Reports by skilled persons. June 2014 (Updated September 2015)

Policy Statement PS21/17 UK leverage ratio: treatment of claims on central banks. October 2017

Consultation Paper CP2/18 Changes in insurance reporting requirements

Policy Statement PS3/17 The implementation of ring-fencing: reporting and residual matters responses to CP25/16 and Chapter 5 of CP36/16

Supervisory Statement SS5/17 Dealing with a market turning event in the general insurance sector. July 2017

Policy Statement PS28/17 PRA fees and levies: model transaction fees, fees and FSCS levies for insurers and fees for designated investment firms

The use of PRA powers to address serious failings in the culture of firms

Supervisory Statement SS8/16 Ring-fenced bodies (RFBs) December (Updating February 2017)

Solvency II director briefing

Statement of Policy The implementation of ring-fencing: the PRA s approach to ring-fencing transfer schemes. March 2016

Engagement between external auditors and supervisors and commencing the PRA s disciplinary powers over external auditors and actuaries

PRA RULEBOOK: SOLVENCY II FIRMS: GROUP SUPERVISION INSTRUMENT 2015

Supervisory Statement SS8/16 Ring-fenced bodies (RFBs)

Supervisory Statement SS24/15 The PRA s approach to supervising liquidity and funding risks

Policy Statement PS11/18 Resolution planning: MREL reporting. June 2018

Supervisory Statement SS36/15 Solvency II: life insurance product reporting codes

The financial stability information power

Consultation Paper CP24/17 Solvency II: Internal models - modelling of the matching adjustment

Consultation Paper CP35/16 Whistleblowing in UK branches

Consultation Paper CP33/15 The implementation of ring-fencing: the PRA s approach to ring-fencing transfer schemes

Supervisory Statement SS14/16 Reporting instructions for non- Solvency II firms (except friendly societies) October 2016

Supervisory Statement SS2/19

EIOPA-CP-13/ March Cover note for the Consultation on Guidelines on preparing for Solvency II

Policy Statement PS10/17 Ensuring operational continuity in resolution: reporting requirements. April 2017

Internal governance. Supervisory Statement SS21/15. April 2015

Policy Statement PS23/17 Internal Ratings Based (IRB) approach: clarifying PRA expectations. October 2017

Supervisory Statement SS7/18 Solvency II: Matching adjustment. July 2018

Policy Statement PS19/17 Responses to CP2/17 Occasional Consultation Paper. July 2017

The PRA Rulebook: Part 3

Appendix 2: Supervisory Statements

Policy Statement PS16/16 Implementing audit committee requirements under the revised Statutory Audit Directive. May 2016

Policy Statement PS1/18 Strengthening individual accountability in insurance: optimisations to the SIMR. February 2018

Policy Statement PS25/17 Solvency II: Data collection of market risk sensitivities. October 2017

Solvency II workshop Governance, Risk Management and Use

Consultation Paper CP10/18 Solvency II: Updates to internal model output reporting

Consultation Paper CP25/17 Pillar 2: Update to reporting requirements

Supervisory Statement SS16/13 Large Exposures. June 2018 (Updating July 2016)

Consultation Paper CP29/17 International banks: the Prudential Regulation Authority s approach to branch authorisation and supervision

Supervisory Statement SS28/15 Strengthening individual accountability in banking. September 2016 (Updating January 2016)

WRITTEN NOTICE - IRB PERMISSION

Consultation Paper CP12/14. CRD IV: updates for credit risk mitigation, credit risk, governance and market risk

Pillar 3: THE START OF LIVE REPORTING

Brexit: Licensing for UK Branches of EEA Banks

Banking Guidance Note No. 2 Policies on Connected Lending. Date of Paper : 31 January 2000 Amended 16 March 2006 Version Number : 1.

PRA Solvency II regulatory reporting update IFoA

Consultation Paper CP23/15 Depositor and dormant account protection - consequential amendments

CP19/15: Contractual stays in financial contracts governed by third-country law

Statement of Policy Deposit Guarantee Scheme. April 2015

Supervisory Statement SS35/15 Strengthening individual accountability in insurance. July 2018 (Updating February 2018)

Statement of Policy Calculating risk-based levies for the Financial Services Compensation Scheme deposits class

Assessing capital adequacy under Pillar 2

Regulatory Consultation Paper Round-up

Supervisory Statement SS10/18 Securitisation: General requirements and capital framework. November 2018

Consultation Paper CP1/18 Resolution planning: MREL reporting

Solvency II. Insurance and Pensions Unit, European Commission

EIOPACP 13/010. Guidelines on Submission of Information to National Competent Authorities

Consultation Paper CP12/18 Securitisation: The new EU framework and Significant Risk Transfer

PRA RULEBOOK SOLVENCY II FIRMS: REPORTING INSTRUMENT 2015

Consultation Paper CP6/18 Credit risk mitigation: Eligibility of guarantees as unfunded credit protection

Transcription:

Supervisory Statement SS12/16 Solvency II: Changes to internal models used by UK insurance firms September 2016

Prudential Regulation Authority 20 Moorgate London EC2R 6DA Prudential Regulation Authority, registered office: 8 Lothbury, London EC2R 7HH. Registered in England and Wales No: 07854923

Supervisory Statement SS12/16 Solvency II: Changes to internal models used by UK insurance firms September 2016 Prudential Regulation Authority 2016

Solvency II: Changes to internal models used by UK insurance firms September 2016 3 Contents 1 2 3 4 Introduction 4 Interaction with the PRA before and during a model change application 5 The quality of model change applications 6 The information to be provided with a model change application 7

4 Solvency II: Changes to internal models used by UK insurance firms September 2016 1 Introduction 1.1 This Prudential Regulation Authority (PRA) supervisory statement is relevant to firms with an internal model approval under Solvency II. 1 It may also be of interest to UK Solvency II firms seeking approval to use an internal model in the future and also to UK Solvency II firms that are part of European Economic Area (EEA) or non-eea groups with a group internal model. For the remainder of this supervisory statement reference to internal models should be taken to mean both full and partial internal models. 1.2 This supervisory statement sets out the PRA s expectations in respect of firms applying for approval for a major change to their approved internal models (either an individual major change or major change triggered by an accumulation of minor changes) or an extension of scope to an approved internal model (eg to cover new business units or risks). This supervisory statement also sets out the PRA s expectations in respect of firms applying to alter their approved internal model change policy. Where the firm is part of an EEA or non-eea group the college of supervisors may need to co-ordinate and agree the overall process for approving a major change application, which may differ to that set out in the supervisory statement. 1.3 In the remainder of this supervisory statement the use of the phrase model change application should be taken to mean any of these applications set out in paragraph 1.2, unless otherwise specified. 1.4 In particular, the supervisory statement covers the: interaction with the PRA before and during a model change application; quality of a model change application; and information to be provided with a model change application. 1.5 The PRA s approach to reviewing model change applications will have similarities to the internal model approval process (IMAP). It will form part of the PRA s overall approach in ensuring a firm s internal model continues to meet the Solvency II requirements and the Solvency Capital Requirement (SCR) remains appropriate for its risk profile. 1.6 The PRA will adopt the same supervisory approval process for: model change applications in respect of individual major changes; major changes triggered by an accumulation of minor changes; and extensions of the scope of the internal model (eg to cover new business units or risks). Applications to alter the internal model change policy will be subject to a standalone review process; however, a firm may wish to align an application to alter its internal model change policy with a model change application. 1 As per Regulation 48 of the Solvency 2 regulations (2015/575).

Solvency II: Changes to internal models used by UK insurance firms September 2016 5 2 Interaction with the PRA before and during a model change application 2.1 This chapter sets out the PRA s expectations on firms when interacting with the PRA before and during a model change application, as well as interaction with the PRA when altering an internal model change policy. Interaction with the PRA before a model change application 2.2 The PRA expects firms to engage as early as possible with their supervision teams about planned changes and developments to their internal models. This should include any model changes that may arise from expected future changes in the firm s risk profile: for example as a result of a potential business transaction. In particular, the PRA expects firms to give notice of their proposed model change application(s) as soon as firms consider an application likely. 2.3 When giving notice of a model change application, the PRA expects firms to provide a summary of their planned model change(s), the reasons for the change(s), the potential impact (both qualitative and quantitative) and the intended timescales for implementation. 2.4 The PRA expects firms to discuss the scope of their model change application with their usual supervisory contact. The PRA expects model change applications to address past PRA feedback, past data audits, limitations of the model, improvements driven by ongoing use of the model 1, validation findings and findings arising from the PRA s supervisory review process. In addition, the PRA expects firms to articulate clearly how they have identified and prioritised the model change(s) included in their application as opposed to other model improvements in their model development plan. 2.5 The PRA will discuss with firms whether it would be useful to enter into a pre-application review process before submitting a formal model change application. This is likely to depend on the complexity, scale and quantum of model changes proposed. The length of any preapplication will also be subject to discussion with the PRA and will reflect the extent of review work considered necessary. If firms choose to make use of a pre-application period, feedback would be provided by the PRA during this process; however, this is not a substitute for the firm s own internal governance or validation process. 2.6 The PRA expects firms to submit no more than one model change application per year. This application may comprise several individual major changes (and include any extensions of scope of the internal model), which will be reviewed together under the same supervisory approval process. This will help to ensure that firms are able to provide robust governance over model changes and that the PRA is able to commit appropriate resources to the review of the application. However, the PRA understands that business or market conditions may, in some circumstances, lead to more than one model change application in a year. 2.7 A planned transaction (for example an acquisition or investment in a new asset class), or other event, may lead to a change in the firm s risk profile, and the firm may therefore instigate a model change application. In such situations firms should consider whether the PRA can realistically approve the model change application by the time the transaction takes place. If approval of the model change application is not expected to be obtained in time, firms 1 As per Guideline 11 (Incentive to improve the quality of the internal model) of the EIOPA Guidelines on the use of internal models, https://eiopa.europa.eu/publications/eiopa-guidelines/guidelines-on-the-use-of-internal-models.

6 Solvency II: Changes to internal models used by UK insurance firms September 2016 should discuss with the PRA how they will calculate revised capital requirements and remain adequately capitalised immediately after the transaction or event takes place. 2.8 Where an event occurs which causes a firm to consider whether changes might be required to its internal model, the PRA recognises that it might take some time for the firm to determine what changes are required and for any changes to be implemented within the model in a way that meets the Solvency II requirements. In such circumstances, the PRA expects firms to discuss with the PRA what other steps might be taken in the interim until a model change application can be made and a decision can be taken. Interaction with the PRA during a model change application 2.9 Following the submission of a model change application, a firm should continue to use its existing approved internal model when determining its SCR for formal Solvency II reporting purposes. The firm should use the version of the model which has been approved on or before the last day of the reporting period for the purposes of Solvency II reporting at that date. However, the firm can include minor changes implemented within the existing approved internal model as long as these fall below the firm s threshold in respect of accumulating minor changes. 2.10 The PRA expects firms to have regard to the possibility that a model change application is not approved. This should include having contingency plans, where appropriate, and sharing these with the PRA. 2.11 While the PRA does not formally approve minor model changes, it will regularly review firms reporting of minor changes 1 and may challenge any that it considers should be classified as a major model change. In addition, minor changes may be subject to review by the PRA at any time as part of the PRA s ongoing supervisory review process. If a minor change causes the model to no longer meet the Solvency II tests and standards, firms must address this issue. 2 Minor change accumulations will be reset at the point of receiving a major change application, unless otherwise agreed with the PRA. 2.12 Firms are reminded that they should remain adequately capitalised at all times, 3 including the period when a model change application is being reviewed by the PRA. The PRA may consider use of supervisory tools (including as a temporary measure) to ensure that any risks are adequately mitigated. 2.13 In demonstrating ongoing compliance with the use test, firms are reminded to consider Guideline 12 (Use test and changes to the internal model) of the European Insurance and Occupational Pensions Authority (EIOPA) guidelines on the use of internal models. Alterations to the policy for changing the internal model 2.14 The PRA expects a firm to discuss with its normal supervisory contact a plan to alter its internal model change policy. Such plans may be made in a separate application and will be reviewed on a standalone basis by the PRA. Alternatively, a firm may wish to align an application to alter its internal model change policy with an existing model change application. 3 The quality of model change applications 1 As per Guideline 8 of EIOPA s Guidelines on the use of internal models, 2 Solvency Capital Requirement Internal Models, rule 9.1. 3 Rule 2.4 in the Fundamental Rules Part of the PRA Rulebook and rule 2.1 of the Solvency Capital Requirement General Provisions Part.

Solvency II: Changes to internal models used by UK insurance firms September 2016 7 3.1 The PRA expects firms model change applications to be of a high quality. If the PRA considers a firm s model change application incomplete, or that it does not otherwise appear to be a viable application, the PRA will discuss with the firm an alternative timescale for submitting a revised application. 3.2 Firms are reminded that the internal model, following model changes, must continue to meet the Solvency II requirements. This includes the requirement to meet validation standards and that a model change application must be signed off by firms boards prior to submission. 1 The PRA expects a model change application to include model outputs that include the effect of the model change. 4 4.1 The information to be provided with a model change application The PRA s model change application form can be found on the Bank of England website. 2 4.2 The application form should be used in respect of: individual major changes, major changes arising from an accumulation of minor changes, extensions of the scope of the internal model and alterations to the internal model change policy. 4.3 Firms major model change applications should also include the information specified in Articles 2 and 7 of the Commission Implementing Regulation EU 2015/460 for internal models 3. 4.4 In order to assist the PRA with the review of the model change application and provide evidence that the internal model continues to meet the Solvency II internal model test and standards, the PRA expects firms to provide the following: (a) justification for the model change(s); (b) a description of the changes that have been made from the latest approved model; (c) a log containing a record of planned and historical changes to the internal model; (d) evidence that the model change application has been signed-off by the board; (e) evidence that the model change(s) have been independently validated; and (f) an updated Common Application Package (CAP) indicating clearly which items of evidence relevant to the model change have been altered since the version of the model most recently approved by the PRA. 4.5 An application to alter the internal model change policy should also include the information in Article 8 of the Commission Implementing Regulation EU 2015/460 for internal models. The PRA expects firms to back-test their new policy to justify any changes in the thresholds used to classify major changes. 1 Rules 7.1 and 14 of the Solvency Capital Requirement Internal Models Part of the PRA Rulebook. 2 Available at: www.bankofengland.co.uk/pra/pages/authorisations/siiapprovals/applying.aspx. 3 http://eur-lex.europa.eu/eli/reg_impl/2015/460/oj.