Insurance Information Institute Issues Public Comment on Treasury Notice
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Insurers are no strangers to climate and extreme-weather risk./1
We may not always have talked about the issue in those terms, but our industry has had a financial stake in it for decades.
Consider the following:
* Insured losses caused by natural disasters have grown by nearly 700 percent since the 1980s;
* Four of the five costliest natural disasters in
*
* This year's Hurricane Ida is expected to cost insurers at least
* From
In 2020 there were 58,950 wildfires, compared with 50,477 in 2019. About 10.1 million acres were burned in 2020, compared with 4.7 million acres in 2019.
Link to figure below.
To the extent that data-gathering and modeling technologies allowed, weather and climate trends have been considered in pricing and reserving methodologies. As information storage and processing capabilities have improved, the industry has not only gotten better at underwriting and reserving for these risks - it has identified opportunities in areas it once could only view as problems. Improved modeling, for example, has increased insurers' comfort with and appetite for writing flood coverage and spurred development of new products./8
A gradual but critical change has been a shift away from merely verifying and quantifying damages and paying claims and toward getting in front of risks, educating policyholders, and partnering with businesses and communities to mitigate these hazards in advance. Insurers are and always will be financial first responders - supporting prudent risk taking that spurs economic activity - but there's a growing realization that risk transfer alone isn't enough.
As part of its research and education mission, the
Link to figure below.
Historical perspective
Hurricane Andrew/9 in 1992 and
As of
Eight of the 10 costliest wildfires in
The combination of shifting populations with hotter, dryer summer weather indicates that - without dramatic pre-emptive mitigation - these costs will only tend to increase.
February 2021's winter storm,/17 which left dozens of Texans dead, millions without power, and nearly 15 million with water issues, could wind up being the costliest disaster in the state's history. Disaster-modeling firm AIR Worldwide says claims volume will likely be significant and, with average claims severity values of
Anomalous as the
In other words, the federal government will likely ask states and municipalities to shoulder more of the cost of recovering from natural catastrophes - making it even more important for every state to prepare for and insure against events that might have seemed unthinkable not so long ago.
Historical perspective
*Includes insured losses from all natural perils.
Insurers and reinsurers are well capitalized to absorb the short-term impacts of individual events. Policyholder surplus/20 - the financial cushion insurers are required to maintain to protect policyholders in the event of unexpected or catastrophic losses - for the property/casualty insurance industry was
During its summer national meeting this year, the
* Pre-Disaster Mitigation
* Climate Risk Disclosure
* Solvency
* Innovation
* Technology
In addition, nonprofit organizations financially supported by insurers have been actively engaged/24 in helping to address societal issues, including climate-risk mitigation and resilience: * The Institutes, through its affiliates:
*
* The Climate Resiliency Council25, which grew out of the Institutes' Catastrophe Modeling Operating Standards (CMOS) initiative to identify issues, clarify options, and make recommendations for implementing an open common exposure data standard and assessing model interoperability issues.
*
*
*
The practices of these and many other insurance industry organizations help drive critical discussions and activities in many areas of risk, including those related to weather and climate.
Recommendations
Despite all these developments and engagement, as weather- and climate-related hazards and demographic trends continue to increase insurers' exposures and drive up the frequency and severity of claims, new approaches - with an emphasis on pre-emptive mitigation and resilience - are needed. FIO and other federal agencies can be of assistance.
With respect to questions 1, 2, 7, 8, 9, 10, 11, and 14 in the information request:
To "assess climate-related issues", FIO should participate in all federal discussions of climate risk, including the Special Presidential Envoy for Climate's activities. It also should take advantage of the excellent research being conducted in the insurance and other business sectors, as well as academia, to remain current on issues and activities.
Regarding "gaps in the supervision and regulation of insurers" and "potential for major disruptions of private insurance", the NAIC's ORSA model - as described above - provides a strong regulatory framework for supervision of climate-risk and financial solvency. The
Essential to the industry's financial strength is the ability to price coverage consistently with expected costs. In markets where pricing is constrained - whether by state fiat or due to risk conditions that limit insurers' underwriting appetite - hurricane and earthquake needs are being met by residual market solutions. Residual market programs make basic coverage more readily available in areas that are highly prone to specific risks.
With respect to insurance availability and affordability, expected losses and costs are key - particularly in high-risk areas and among traditionally underserved communities, minorities, and low- and moderate-income individuals, who tend to suffer most when natural disasters strike. As we wrote in our previous
The complexity of ensuring that insurance is available and affordable is compounded by aggregation of diverse hazards involved in climate risk. As explained above, adequate reserves and policyholder surplus are essential to the availability of funds to pay claims. To the extent that FIO and other federal agencies can help keep a lid on losses and claims by helping to drive advances in pre-emptive mitigation and resilience, insurers and risk managers will be able to continue doing what they already are doing well.
The federal government can play a constructive role by working with state and local authorities to drive improved resilience in problem areas. This - rather than imposing or encouraging new layers of regulation - would increase insurers' comfort writing coverage in those locations.
Link to figure below.
Recommendations (continued)
Questions 3 and 5:
Companies provide financial projections for consistent stress levels as part of their ORSA and evaluations from rating agencies like S&P and
Question 6:
Regarding the "likely advantages and disadvantages of a verified, open-source, centralized database for climate-related information on the insurance sector"
Conclusion
In summary, FIO and other federal agencies can support and strengthen the private insurance market by assisting with strategies to reduce the frequency and severity of climate-related events. This could take the form of active participation in federal and international efforts to reduce or reverse the adverse human influences on climate risk; encouraging states to strengthen and enforce building codes to improve the resilience of personal and commercial structures; and supporting long-term reauthorization and modernization of the NFIP and encouraging growth of the private flood insurance market.
Federal agencies also can play a constructive role by working with private-sector climate modelers to standardize the diverse data outputs. The proprietary nature of existing models currently makes apples-to-apples comparisons difficult and complicates conversations between corporate decision makers and policymakers about physical risks associated with a warmer world and risks associated with making the transition toward a less-carbon-based economy.
Putting the authority and influence of the federal government behind the excellent work already being done by insurers in partnership with their clients, regulators, and state and local jurisdictions could go a long way toward mitigating climate-related risks and improving the resilience of families, communities, and businesses.
View figures at https://downloads.regulations.gov/TREAS-DO-2021-0014-0026/attachment_1.pdf
Conclusion
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Footnotes:
1/
2/ Facts + Statistics:
3/ 2020 North Atlantic Hurricane Season Shatters Records,
4/ Top 20 Largest California Wildfires,
5/ Iowa Derecho Claims Top
6/ Leslie Scism, Ida Storm Damage Expected to Cost Insurers at Least
7/ Year-to-date statistics,
8/
9/ Hurricane Andrew and Insurance: The Enduring Impact of an Historic Storm, The
10/ Top 10 Costliest
11/
12/
13/
14/ Fighting wildfires with innovation, The
15/
16 Facts + Statistics: Wildfires, The
17/
18/
19/
20/ Financial Reporting/Policyholder Surplus, The
21/ A
22/ Own Risk and Solvency Assessment (ORSA),
23
24/
25/
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The notice can be viewed at https://www.regulations.gov/document/TREAS-DO-2021-0014-0001
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