BERMUDA CAPTIVE INSURANCE - Bermuda …bda.bm/wp-content/uploads/2015/07/15-July-9-BDA-Captive...1...

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www.bda.bm BERMUDA CAPTIVE INSURANCE Captive Vehicles, Regulation, Tax June 2015

Transcript of BERMUDA CAPTIVE INSURANCE - Bermuda …bda.bm/wp-content/uploads/2015/07/15-July-9-BDA-Captive...1...

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BERMUDA CAPTIVE INSURANCE

Captive Vehicles, Regulation, TaxJune 2015

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Joe DaSilveiraSenior Vice PresidentLiberty Mutual Management (Bermuda) Ltd.

Butch AgnewVice PresidentDyna Management Services Ltd.

TODAY’S SPEAKERSRochelle SimonsGeneral ManagerBermuda Captive Owners Association

Leslie RobinsonAssistant Director, Corporate AuthorisationsBermuda Monetary Authority

Will McCallumManaging Director, TaxKPMG Bermuda

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CAPTIVE INSURANCE> What is a captive insurance company? > Structure of a captive insurance company

> Key reasons to set up a captive/how it works > When to set up a captive

> Bermuda: Key facts and Figures > Bermuda Healthcare Market

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WHAT IS A CAPTIVE INSURANCE COMPANY?DEFINITION AND KEY FEATURES

A captive insurance company is an insurance company whose primary purpose is the financing of the risks of its owners:

Insurance cover is only available to the parent and affiliates of the captive

Its owners/participants are usually not insurance companies

It is a licensed insurance company and operates under a different regulatory system than commercial insurers

Insureds generally require less policyholder protection than the general public

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STRUCTURE OF A CAPTIVE INSURANCE COMPANYCOMMON CAPTIVE STRUCTURES

Single Parent Captive (Pure)

Multi-owner / Group Captive

Segregated Account Company (or protected cell company)

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STRUCTURE OF A CAPTIVE INSURANCE COMPANYCOMMON CAPTIVE STRUCTURESSingle-parent captive

Owned by one parent and insures the risks of its parent or affiliates only (i.e. related business)

Parent or affiliates

Captive

Reinsurer(optional)

Parent or affiliates

Fronting Insurer

Captive

Reinsurer(optional)

Premiums Claims

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STRUCTURE OF A CAPTIVE INSURANCE COMPANYCOMMON CAPTIVE STRUCTURES

Multi-owner/group captive

Owned by multiple parents and insures the risks of all owners. Owners are typically companies operating in the same industry or trade association and want insurance cover for the same type of risks

Owner A Owner B Owner C

Captive

Reinsurer(optional)

Premiums Claims

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STRUCTURE OF A CAPTIVE INSURANCE COMPANYCOMMON CAPTIVE STRUCTURES

Segregated account company

Each cell insures the risks of its owner and the owner invests assets that are segregated from other cells

The core does not transact any insurance business but handles the admin functions

There is no risk-sharing between the cells

Cell 1

Cell 6

Cell 5

Cell 4

Cell 3

Cell 2

CORE

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KEY REASONS FOR A CAPTIVE

COST REDUCTION

1

COVERAGE: ACCESS TO

REINSURANCE

2 3

CASHFLOW:INVESTMENT

INCOME

4

CONTROL:ADMINISTRATIVE

TOOL

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KEY REASONS FOR A CAPTIVE

Reduces overall costs of the parent’s insurance/risk management programme

Any underwriting gains and investment income are retained by the parent

Parent benefits from its own loss experience: does not pay a premium based on industry-wide losses or perceptions

COST REDUCTION

1

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KEY REASONS FOR A CAPTIVE

The parent can tailor the insurance policies for its specific needs and risks, providing greater flexibility and control

Established to provide access to the reinsurance market

Access to preferential pricing from reinsurance market

Potential to earn ceding commission from reinsurers

COVERAGE: ACCESS TO

REINSURANCE

2

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KEY REASONS FOR A CAPTIVE

Investment income is retained by the parent

Benefit from the lag between paying premiums and payout of losses, earn investment income and possibly reduce or deferred tax

3

CASHFLOW:INVESTMENT

INCOME

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KEY REASONS FOR A CAPTIVE

The parent can tailor the insurance policies for its specific needs and risks, providing greater flexibility and control

Can help bring a focus to losses and loss prevention within the parent’s overall culture

Successful captives become an integral part of the Enterprise Risk Management programme

4

CONTROL:ADMINISTRATIVE

TOOL

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WHEN TO SET UP A CAPTIVE INSURANCE COMPANYFREQUENCY AND SEVERITY

Risks usually fall into one of the following categories:

Transfer Risk (consider captive)

Transfer Risk(avoid and reduce)

Retain Risk Retain Risk(consider captive)

Seve

rity

Frequency

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WHEN TO SET UP A CAPTIVE INSURANCE COMPANYWHEN DOES A CAPTIVE MAKE SENSE?

Insurance programmes are significant premium size

The company has high deductible limits

Good loss experience and degree of loss-control capability

Significant lag between loss occurrence and settlement

Desire for greater flexibility in programme design

Anticipates hard market or currently experiencing hard market

Desire to obtain coverage for non-traditional exposures for which commercial insurance is expensive/not available

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BERMUDAKEY FACTS AND FIGURES

Largest and most established captive domicile

Over $20 billion in Captive premiums written annually

Stable political and economic climate

Flexible and pragmatic insurance regulation

Direct access to the reinsurance market

Robust insurance knowledge base

Depth of experience across geographical region and industries

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BERMUDA PREMIUMS BY LOCATION OF UNDERLYING RISK

North America54%

Global18%

Europe10%

S. America & Carribbean6%

Asia10%

Other2%

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BERMUDA INDUSTRY OF PARENT COMPANY Health Care

12%

Manufacturing9%

Energy6%

Financial Institutions6%

Retail5%

Construction5%

Transportation5%

Business Services4%

Automotive4%

Mining, Metals, Forestry4%

Aviation and Aerospace4%

Real Estate4%

Technology2%

Other30%

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BERMUDA HEALTHCARE MARKETEXCESS REINSURANCE MARKET

Leading provider of healthcare coverage.

$400mln in healthcare capacity provided by over 10 carriers.

Proven track record of paying claims.

40 plus insurance professionals specializing in healthcare related insurance services.

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BERMUDA HEALTHCARE MARKETHEALTHCARE CAPTIVES

Approximately 90 captives owned by healthcare sponsors

These 90 captives represent 10% of the licensed insurers in Bermuda

A significant portion of these captives write medical malpractice liability coverage (along with GL, Workers Comp, and Property programs)

Many of the Bermuda captives purchase a portion of their excess medical malpractice liability coverage from Bermuda based reinsurers

Bermuda medical malpractice liability premium volume is excess of $1.3b annually

Bermuda service providers and the Bermuda regulator have significant breadth and depth of experience with the risks faced by healthcare organizations

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CAPTIVE REGULATIONLeslie RobinsonAssistant Director, Corporate AuthorisationsBermuda Monetary Authority

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OUTLINE> Overview of the Bermuda Monetary Authority > Captive Legislation

(BMA or Authority) > Captive Regulation

> Licensing Service Standards > Statistics

> International Information Exchange

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BERMUDA MONETARY AUTHORITY OVERVIEW

The Bermuda Monetary Authority is the integrated regulator of the financial services sector in Bermuda

Established in 1969 by an Act of Parliament

Functions independently from Government, but often advises the Ministry of Finance in matters pertaining to financial services

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BERMUDA’S CAPTIVE LEGISLATION

Companies Act 1981

Insurance Act 1978

Insurance Accounts Regulations 1980

Insurance Returns and Solvency Regulations 1980

Segregated Accounts Companies Act 2000

Guidance Notes

Code of Conduct

Also see: www.bermudalaws.bm

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INSURER CLASS STRUCTURE

General Business Insurers Class 1, 2, 3 – Captive Classes Class 3A, 3B, 4 – Commercial Classes

Long-Term Business Insurers (annuity, life, some accident & health) Class A, B – Captive Classes Class C, D, E – Commercial Classes

SPIs (insurer fully funds liabilities through a debt issuance or some other approved financing mechanism)

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Class of Insurer Class 1100%

Related

Class 2<20%

Unrelated or Multi-owned

Class 320% to 50%UnrelatedGreater of:

a) Minimum StatutoryCapital & Surplus

$120,000 $250,000 $1 million

b) Premium Test: First $6 million of Net Premium Written

20% 20% 20%

Net Premiums Written in excess of $6 million

10% 10% 15%

c) Loss Reserve Test: Loss and Loss Expense Reserve

10% 10% 15%

General BusinessMINIMUM SOLVENCY MARGINS

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Class of Insurer Class A100%

Related

Class B<20%

Unrelated or Multi-owned

Greater of:

a) Minimum StatutoryCapital & Surplus

$120,000 $250,000

b) Asset Test: Total Assets

0.5% 1.5%

Long-Term Business

MINIMUM SOLVENCY MARGINS

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BERMUDA CAPTIVE REGULATION

Captive vs. Commercial

Risk-Based Approach

Role of Principal Representative and Insurance Manager

Pragmatic approach to regulation

Practical, business-savvy approach

Creative

Responsive to business needs

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LICENSING PROCESS – SERVICE STANDARDS

Application to incorporate company:

Can have same day response Application for insurance license:

Can be done simultaneously with incorporation. Completed applications received by 5 p.m. Monday, are reviewed and

responded to by 5 p.m. Friday Final registration and issuance of license:

Upon approval of application and receipt of all registration documentation, issuance of license can take up to three business days

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HOW BMA INTERACTS WITH SERVICE PROVIDERS

BMA

Lawyers

Auditors

BDA

Banks

External Actuaries

Insurance Managers/

Principal Reps

Other Regulators

International Standard

Setting Bodies

Bermuda Government

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BERMUDA CAPTIVES: BY THE NUMBERS

800 active captives as of 31st December 2014

Region of Beneficial Owner Captive Stats, for year ended 2013:

Market Statistics by Company Type:

No of Licences Gross Premiums

Total Assets Capital & Surplus

North America 493 $25.9 billion $87.0 billion $36.3 billion

No of Licences Gross Premiums

Total Assets Capital & Surplus

Healthcare Captive 43 $1.3 billion $3.4 billion $1.2 billion

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TAX> Overview of key U.S. tax considerations

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OVERVIEW OF KEY U.S. TAX CONSIDERATIONS

Key issues from a U.S. tax perspective:

Deductibility of premiums paid to captive

Deductibility of loss reserves in calculation of captive’s income

Reasonable estimate of future losses and loss adjustment expenses

Insurance contracts and insurance company status

Sufficient risk transfer and distribution (i.e. true shifting of risk)

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OVERVIEW OF KEY U.S. TAX CONSIDERATIONS

Key issues from a U.S. tax perspective:

Controlled foreign corporation (“CFC”) provisions

Certain U.S. shareholders taxable currently with respect to their share of captive income

Eligible insurance companies may elect to be treated as U.S. corporations for tax purposes

(sec 953(d))

U.S. trade or business issues

Federal excise tax

4% on direct insurance (non-life)

1% on reinsurance

1% on life insurance

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Attending the Vermont Captive Insurance Association (VCIA) Conference on August 11–13, 2015? Be sure to visit the BDA booth #60.

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QUESTIONS?@investBermuda #BDACaptive

Email: [email protected]

Post questions in webinar chat

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Maxwell Roberts Building, 6th Floor1 Church StreetHamilton HM 11Bermuda

+1 441 292 [email protected]