CHINA UNITED INSURANCE SERVICE, INC. FILES (8-K) Disclosing Other Events
Item 8.01 Other Events.
On
owned subsidiary of
a majority-owned subsidiary of
"Company"), received a decision letter (the "Decision Letter") dated
25, 2021
that Law Broker was fined NTD 200,000 (equivalent to approximately
(the "Fine") and one month correction period (the "Correction Period,"
collectively with the Fine, the "Penalty") by the FSC for violating Article 163
Sections 4 and 8 of the Insurance Act of
23 of Article 49 of the Regulations Governing Insurance Brokers (the
"Regulation"). The FSC found that one of Law Broker's insurance agents, within a
short period of time, solicited the same customer for insurance policies from
different insurance companies but the financial information of the customer in
such agent's report was different. The insurance agent and Law Broker were not
able to verify the reason behind such discrepancy.
Further, the FSC found that Law Broker's current "Customer Risk Assessment
Standards for Preventing Money Laundering and Combating Terrorism,"
underestimated customers' risk levels and therefore such standards may have
deficiency in screening the risks of money laundering or terrorism of potential
insurance customers. Lastly, FSC also ruled that Law Broker has not enhanced its
due diligence review on its high-risk customers.
The Company and Law Broker will pay the Fine in full on or prior to the
prescribed due date according to the Decision Letter and are in the process of
adjusting their business models to regain compliance with the Act and the
Regulation.
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