CASSIDY SEEKS INPUT FROM NFIP STAKEHOLDERS ON PROPOSED REFORM
The following information was released by
For over 50 years, NFIP has provided Americans with access to affordable flood insurance, addressing a gap left by the private market, which could not offer coverage on reasonable terms. Established by the National Flood Insurance Act of 1968, the program was designed to reduce the financial burden on individuals and the federal government by sharing flood risk and requiring participating communities to adopt floodplain management standards that lower flood risk. Many of the market challenges that led to the program's creation persist today.
As the
Cassidy's goal is to ensure any changes to NFIP are informed by sound analysis, practical insights, and credible research. The deadline to submit input is
Cassidy was joined by
Read the full requesthereor below.
To Interested Parties,
For the last half century, the United States Government ensured that American homeowners could access affordable flood insurance through the National Flood Insurance Program ("NFIP"). The NFIP was created pursuant to the National Flood Insurance Act of 1968[1]on the basis that it was "uneconomic for the private insurance industry alone" to meet the demand for flood insurance policies with "reasonable terms and conditions."[2] Where an affordable private market was lacking,
As the
Please send responses [email protected]
Reauthorization
What is the ideal reauthorization length and why?
When authorized in 1968, NFIP was initially administered by the
Affordability
In 2018,
What policy changes would most effectively address affordability concerns for policyholders? Should policy holders be allowed to pay their premiums monthly? If not, why not?
What approaches could help balance long-term program fiscal stability, considering the need for premiums to reflect risk while accounting for the investments communities have made to meet flood mitigation standards, and the need to keep premiums affordable for at-risk populations?
Given that prior to Risk Rating 2.0 grandfathering allowed property owners to "lock in" the lower risk flood zone or base flood elevation for future ratings, what role should grandfathering of rates play into a reform of the NFIP, taking into account its impact on home values and the downstream impacts on state and local tax bases, as well as the impact on program sustainability? In addition to grandfathered properties,pre-FIRMproperties andnewly-mappedproperties have historically also received a discount. What role should these discounted categories have in a reform of the NFIP?
Mitigation
How can the NFIP better support and incentivize mitigation efforts at the local or property level? Should
How can
Mapping
What improvements or reforms to
Under current policy,
Are there ways the
Risk Rating 2.0
How could the Risk Rating 2.0 methodology be changed or replaced to more accurately reflect a property's true risk rating and past mitigation efforts? What aspects of the legacy flood insurance premium rating system are superior to Risk Rating 2.0?
Should the Risk Rating 2.0 methodology and its data sources receive a third-party review for reasonableness and consistency? If so, how should this review be conducted, and who should be involved in this review? Should
How often should
Solvency and Savings
What are the most effective strategies to strengthen the NFIP's long-term financial solvency?
Are there innovative approaches to building program reserves or savings that
While
How can the NFIP effectively manage its debt burden?
The NFIP, on average, pays the
Enhancing Transparency and Accountability
What steps could
How can the NFIP better convey community risk and program changes to policyholders and communities?
Home buyers and renters often lack awareness about the property and community level flood risk and history of the properties they purchase and rent. Would flood risk and history disclosure requirements between sellers/lessors and buyers/renters of properties before closing transactions help increase transparency and raise risk awareness? If so, what type of information should be disclosed between parties?
What accountability measures would ensure the program meets its goals and serves stakeholders effectively? Should policyholders be informed of all of the rating factors? Are there any rating factors that should not be disclosed to policyholders? How should this communication occur (i.e., on declaration pages, via an agent, or on an online portal)?
How can the
Currently, NFIP premiums are not appealable. Should NFIP premiums be appealable? If so, what specific rating factors should be appealable? If so, how should this appeals process work?
What are the main challenges in addressing severe repetitive loss properties, and what solutions could be effective?
How can the NFIP and its partners better support mitigation efforts for severe repetitive loss properties?
Should the NFIP expand its practice of buying out severe repetitive loss properties? Under some conditions should buyouts be required?
What policy changes could reduce the incidence and impact of severe repetitive loss claims?
Mandatory Purchase Requirement
The mandatory purchase requirement (MPR) applies to properties with federally-backed mortgages within the Special
How could compliance with the mandatory purchase requirement be improved?
What impact, if any, does the mandatory purchase requirement have on your community or industry, and what changes would you recommend?
Participation in the Program
What incentives or requirements could encourage more consistent participation in the program?
What changes in the program have led to a decrease in participation in the program?
Should an affordability program be open to new as well as existing NFIP policyholders?
Continuous Coverage Requirement
Disproportionate Impact on Communities
How does the NFIP currently impact different communities, particularly those that are low-income, minority, or rural?
What steps can
How can
The Community Assistance Program State Support Services Element (CAP-SSSE) program provides funding to states to help communities participating in the NFIP proactively identify, prevent, and resolve flood management issues. Should CAP-SSSE be permanently authorized and preserved? Should any changes be made to this program?
In a future affordability program, how should NFIP ensure that communities most in need receive benefits? For example, areas with high area median income (AMI) may have a larger percentage of homeowners eligible to receive a premium discount.
NFIP Coverage Limits
The current maximum NFIP coverage limits are
How might adjustments to these statutory coverage caps affect program participation, affordability, and the relationship between the NFIP and private flood insurance offerings, particularly in high-value or high-risk areas?
Are there alternative models, such as supplemental or layered insurance approaches, that could better address coverage gaps for properties exceeding current NFIP maximums, and what would be the operations and access considerations of such models?


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