Page 83 - BIPAR Annual Report 2020_EN short
P. 83

- International Affairs











 Background   In 2019/2020 Mr. Jon Jensen (IIABA - North America) chaired WFII. Considering   consistency with the Financial Action Task Force (FATF)   could  be  strengthened.  When  in  June  2019  a  first  draft
 the  COVID-19  outbreak  and  the  fact  that  the  WFII  World  Council  Singapore   Recommendations. In response to the consultation, WFII   report was presented, WFII provided comments and a WFII
 2020 meeting in person was cancelled it was decided to keep the Executive   made  suggestions  about  flexibility  and  the  optimisation   delegation discussed the draft report with the drafters. WFII
 Founded twenty years ago, The   Committee  as  was  composed  for  one  extra  year.  Mr.  Jon  Jensen  was   of the ML/TF assessment.  In order to avoid duplication   commented, inter alia, that the report should make clear that
 World Federation of Insurance   unanimously  reappointed  Chairman  2020/21  and  Mrs.  Elena  Jiménez  de   of effort, and to optimize the process, WFII proposed that   it is in the interest of the consumer, that all actors distributing
 Andrade (COPAPROSE, Latin America) was unanimously reappointed Incoming   consideration should be given to allow intermediaries and   insurance products, regardless of their title, should fall under
 Intermediaries (WFII) represents
 Chairperson 2020/21.   insurers to distribute the tasks amongst them. This could   the scope of the regulation and supervision (the activity-
 insurance agents and brokers from   be done in a contract between insurer and intermediary.   based approach). The report should also include the message
 over 100 national associations in   The  WFII  Secretariat  is  run  by  the  BIPAR  Secretariat  in  Brussels.  Mr.  Nic  De   Furthermore,  WFII  proposed  mentioning  in  the  ICP  that   that there is a distinction between non-life insurances/
 Maesschalck, the BIPAR Director, is also the Director of WFII, and Mrs. Isabelle   intermediaries  should  take  steps,  proportionate  to  their   pure  risk  life  insurances  and  life  insurance  products  with
 over 80 countries across the world.
 Heuninckx  is  Policy  Adviser  for  WFII  Affairs.  For  more  information  on  WFII,   nature and their size, to identify, assess and understand   an  investment  element.  Many  jurisdictions  already  make
 Speaking for intermediaries with
 please visit www.wfii.org.  their ML/TF risks.                 this  distinction  when  regulating  insurance  distribution.  A
 one single voice to international                              statement should also be included about certain limits of the
 institutions such as the OECD, the   Activities with the OECD  report due to the enormous complexity and variety of the
 Examples of 2019/2020 WFII activities                          sector when trying to compare words, business models and
 IAIS, the FATF, the IMF and the UN,
            WFII attended the 2019 meetings and roundtables of the   legislation from around the world. Considering the potential
 has contributed, through the years,   Activities with IAIS  Insurance and Private Pensions Committee (IPPC) of the   misunderstandings  in  terms  of  terminology,  WFII  asked

 to a better understanding of the   OECD. The following issues, inter alia, are on the agenda of   the drafters to avoid recommendations. More specific, as
 Issues Paper on Use of Big Data Analytics in Insurance (BDA)   the IPPC and followed by WFII:   the word independent has a different meaning in different
 critical role played by insurance
                                                                jurisdictions and triggers different regulation, WFII insisted
 intermediaries in global trade and
 The IAIS Market Conduct Working Group (MCWG) worked in 2018 and 2019 on   Report on insurance intermediation: regulatory/supervisory   that paragraphs regarding independence of intermediaries
 the efficient functioning of insurance   an Issues Paper on Use of Big Data Analytics in Insurance. Issues Papers provide   framework and market conduct   should be deleted.  Many of WFII comments were taken into

 markets.         background on particular topics, are primarily descriptive, not meant to create   consideration and important paragraphs, supportive to our
 expectations on how supervisors should implement supervisory material and   In 2018-19, the IPPC examined the regulatory and   sector,  were  inserted.  The  final  report  is  a  description  of
 often form part of the preparatory work for developing standards. This Paper   supervisory framework of insurance intermediation for both   regulation in place in different countries and, contrary to its
 International institutions dealing   gives a state of affairs of the use of BDA in the insurance sector and of the   incumbent and emerging digital distribution channels with   initial intention, and in line with what WFII always said and
 with insurance intermediation issues,   benefits and risks that come with it. WFII commented several times on the draft   the view  of  identifying  areas  where  consumer  protection   wrote, the IPPC has not included policy recommendations.
 Paper and participated in two MCWG meetings as an expert. WFII commented
 publish, on an ongoing basis, (cross-
 on the wording of several paragraphs and highlighted the importance of a
 sectoral) principles, guidelines
 regulatory and supervisory framework that is technology-neutral, emphasizes
 and papers on financial consumer   on an activity-based approach and respects a level playing field for all market
 protection and market conduct. As   players. It is the role of regulators and supervisors to safeguard that the digital
 development takes place in an appropriately regulated insurance market.
 these principles, guidelines and
 All  firms  providing  insurance  intermediation  services  should  be  regarded
 papers often form the basis of national   as  insurance  intermediaries  and  should  be  regulated  as  such,  regardless  of
 legislation, it is important that they   the medium or techniques they use to deliver such services. Regulators and
 supervisors should keep a neutral and objective position with regard to all
 reflect the positions of WFII. By
 acceptable business models.
 contributing to the drafting process,
 by participating in public hearings and   Review of ICP 22 on Anti-Money Laundering
 by inviting representatives from these
 In June 2019 the IAIS launched a consultation of the revised Insurance Core
 institutions to meet World Council
 Principle 22 on Anti- Money Laundering and Combating the Financing of
 members -professional insurance   Terrorism.    ICP  22  requires  insurers  and  intermediaries  to  take  effective
 intermediaries- WFII explains,   measures to combat money laundering and the financing of terrorism. This
 ICP was adopted in October 2013 and was in 2019 reviewed and updated
 promotes and defends the interests of
 by the IAIS in order to improve its usefulness to supervisors and to enhance
 intermediaries.


                                                            83
   78   79   80   81   82   83   84   85   86   87   88