Tag Archives: Solvency II reporting

SFCR: Capital Insights

This blog is part of the Pillar 3 Reporting series. For more blogs in this series click here.

Following the first annual reporting deadline under Solvency II, we look at the quality of the Own Funds on Irish company balance sheets.

All companies
The figures below are based on an analysis of 46 Solvency and Financial Condition Reports (SFCRs), which cover all the major players in the Irish insurance market. The headline statistic is that Tier 1 unrestricted Own Funds account for 93.7% of capital on Irish insurers’ balance sheets, as shown in Figure 1. Tier 1 restricted (1.1%), Tier 2 (2.9%), and Tier 3 (0.8%) make up the remainder of basic Own Funds. The small level of ancillary Own Funds (1.5%) shows that very few companies have applied to include additional ancillary items on their balance sheets.

Solvency II_Own Funds Breakdown_All Companies
Figure 1

Life industry
It is useful to consider companies selling life business in isolation. We have included 25 published SFCRs within this category.

Firstly, in Figure 2, we look at domestic life companies selling in Ireland. For these companies, a minimum of 90% of Own Funds is Tier 1 unrestricted capital.

Figure 2

In fact, as seen in Figure 3, all these domestic companies are covering 100% of the Solvency Capital Requirement (SCR) using Tier 1 unrestricted capital.

Solvency II_SCR coverage
Figure 3

We see a similar picture in Figures 4 and 5 for the cross-border life market in Ireland, with very few cases of lower-quality capital on the balance sheet. Again, all the companies examined cover the SCR using 100% Tier 1 unrestricted capital.

Figure 4
Figure 5

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SFCR: Where are the risks?

This blog is part of the Pillar 3 Reporting series. For more blogs in this series click here.

Following the first annual reporting deadline under Solvency II, here’s a look at the breakdown of risk components within the Solvency Capital Requirement (SCR) across the Irish market. This provides a useful insight into the largest drivers of regulatory capital, while also indicating some of the sources of risk for companies.

All companies
This analysis is based on 40 published Solvency and Financial Condition Reports (SFCRs) as only standard formula companies have been included. The graph in Figure 1 shows the breakdown of the various SCR components, where 100% represents the calculated SCR.

As can be seen, underwriting risk represents the largest driver of SCR, followed by market risk. In this case, underwriting risk represents a combination of life, health, and non-life underwriting risks.

The benefits of diversification and loss-absorbing capacity represent an average reduction of 43% of the SCR. Please note that diversification here is at the SCR module level and doesn’t include the impact of diversification across sub-modules.

Figure 1

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SFCR: Who’s doing what?

This blog is part of the Pillar 3 Reporting series. For more blogs in this series click here.

Following the first annual reporting deadline under Solvency II, here’s a look at the different approaches being taken by Irish companies in terms of internal models and transitional or long-term guarantee measures.

While this initial analysis does not include every company, the sample includes 46 companies based in Ireland with aggregate Own Funds of €26.4 billion, including all the major players.

Internal models
The identities of the insurance companies using internal models may have been an open secret, but the publication of Solvency and Financial Condition Reports (SFCRs) allows us to confirm them below.

Based on our sample, there are 10 companies using an internal model for Solvency Capital Requirement (SCR) purposes. Interestingly, Ireland has subsidiaries of almost all the major international insurance groups, so what is learned in Ireland also gives an insight into the international market.

# Company Group Full Partial
1 Allianz plc Allianz SE X
2 Allianz Global Life Allianz SE X
3 Axa Life Europe Axa SA X
4 Axa Insurance Axa SA X
5 Axa MPS Financial Axa SA X
6 Beazley Re Beazley plc X
7 Hannover Re (Ireland) Hanover Ruck SE X
8 Prudential International Assurance plc Prudential plc X
9 SCOR Global Life Reinsurance SCOR SE X
10 Zurich Insurance plc Zurich Insurance Group X

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SFCR: An initial picture

This blog is part of the Pillar 3 Reporting series. For more blogs in this series click here.

Following the first annual reporting deadline under Solvency II for most companies on 20 May, there is now a wealth of information available through companies’ Solvency and Financial Condition Reports (SFCRs).

We are currently analysing the contents of the Irish SFCRs, both quantitative and qualitative, and will be publishing more detailed analyses in the coming weeks. However, as a taster, we’ve looked at solvency coverage across life and non-life insurers in Ireland. While this initial analysis does not include every company, the sample includes 46 companies with aggregate Own Funds of €26.4 billion, including all the major players.

The good news is that the Irish insurance industry is in a healthy position in terms of solvency coverage. Only one company has an SCR coverage ratio below 100% at year-end 2016 and it has since received a capital injection to remove the shortfall.

The graph below shows the relationship between Own Funds and SCR coverage ratio for companies. This shows that the majority of companies (66%) have a coverage ratio between 100% and 200%, including those with Eligible Own Funds in excess of €1 billion. The weighted average solvency coverage ratio is 167% (178% for life and 154% for non-life).

Our later analysis will also include a pan-European focus on the public disclosures. However, we’ll have to wait a little longer for this analysis as the group reporting deadline is 1 July. This includes the publications of single SFCRs where groups have opted to include all their subsidiaries within a single public disclosure document. We understand that some of the large groups in the UK have gone down this route.

EIOPA discussion paper on the review of Solvency II Delegated Regulation

The European Insurance and Occupational Pensions Authority (EIOPA) has launched a review of specific items in the Solvency II Delegated Regulation with a particular focus on the standard formula Solvency Capital Requirement (SCR). In this briefing note, Milliman consultants Aisling Barrett, Gillian Tucker, and John Mulvihill summarise the discussion paper EIOPA has published in order to engage with stakeholders on the topic.

Solvency II reporting: Year-end 2016 and beyond

The Solvency II annual Quantitative Reporting Templates (QRTs) is required of many European (re)insurers for the first time in May 2017, as are the Solvency and Financial Condition Report (SFCR) and the Regular Supervisory Report (RSR). In addition to the annual reporting requirements, the deadline for submission of the 2017 quarterly QRTs has been reduced by one week compared with what was required during 2016. In this briefing note, Milliman consultants Ciaráin Kelly and Sinéad Clarke provide a timeline summarising the reporting requirements in 2017 for both solo entities and groups (assuming a year-end reporting date of 31/12).