We would love to hear from you. Click on the ‘Contact Us’ link to the right and choose your favorite way to reach-out!

wscdsdc

media/speaking contact

Jamie Johnson

business contact

Victoria Peterson

Contact Us

855.ask.wink

Close [x]
pattern

Industry News

Categories

  • Industry Articles (21,225)
  • Industry Conferences (2)
  • Industry Job Openings (35)
  • Moore on the Market (420)
  • Negative Media (144)
  • Positive Media (73)
  • Sheryl's Articles (803)
  • Wink's Articles (354)
  • Wink's Inside Story (275)
  • Wink's Press Releases (123)
  • Blog Archives

  • April 2024
  • March 2024
  • February 2024
  • January 2024
  • December 2023
  • November 2023
  • October 2023
  • September 2023
  • August 2023
  • July 2023
  • June 2023
  • May 2023
  • April 2023
  • March 2023
  • February 2023
  • January 2023
  • December 2022
  • November 2022
  • October 2022
  • September 2022
  • August 2022
  • July 2022
  • June 2022
  • May 2022
  • April 2022
  • March 2022
  • February 2022
  • January 2022
  • December 2021
  • November 2021
  • October 2021
  • September 2021
  • August 2021
  • July 2021
  • June 2021
  • May 2021
  • April 2021
  • March 2021
  • February 2021
  • January 2021
  • December 2020
  • November 2020
  • October 2020
  • September 2020
  • August 2020
  • July 2020
  • June 2020
  • May 2020
  • April 2020
  • March 2020
  • February 2020
  • January 2020
  • December 2019
  • November 2019
  • October 2019
  • September 2019
  • August 2019
  • July 2019
  • June 2019
  • May 2019
  • April 2019
  • March 2019
  • February 2019
  • January 2019
  • December 2018
  • November 2018
  • October 2018
  • September 2018
  • August 2018
  • July 2018
  • June 2018
  • May 2018
  • April 2018
  • March 2018
  • February 2018
  • January 2018
  • December 2017
  • November 2017
  • October 2017
  • September 2017
  • August 2017
  • July 2017
  • June 2017
  • May 2017
  • April 2017
  • March 2017
  • February 2017
  • January 2017
  • December 2016
  • November 2016
  • October 2016
  • September 2016
  • August 2016
  • July 2016
  • June 2016
  • May 2016
  • April 2016
  • March 2016
  • February 2016
  • January 2016
  • December 2015
  • November 2015
  • October 2015
  • September 2015
  • August 2015
  • July 2015
  • June 2015
  • May 2015
  • April 2015
  • March 2015
  • February 2015
  • January 2015
  • December 2014
  • November 2014
  • October 2014
  • September 2014
  • August 2014
  • July 2014
  • June 2014
  • May 2014
  • April 2014
  • March 2014
  • February 2014
  • January 2014
  • December 2013
  • November 2013
  • October 2013
  • September 2013
  • August 2013
  • July 2013
  • June 2013
  • May 2013
  • April 2013
  • March 2013
  • February 2013
  • January 2013
  • December 2012
  • November 2012
  • October 2012
  • September 2012
  • August 2012
  • July 2012
  • June 2012
  • May 2012
  • April 2012
  • March 2012
  • February 2012
  • January 2012
  • December 2011
  • November 2011
  • October 2011
  • September 2011
  • August 2011
  • July 2011
  • June 2011
  • May 2011
  • April 2011
  • March 2011
  • February 2011
  • January 2011
  • December 2010
  • November 2010
  • October 2010
  • September 2010
  • August 2010
  • July 2010
  • June 2010
  • May 2010
  • April 2010
  • March 2010
  • February 2010
  • January 2010
  • December 2009
  • November 2009
  • October 2009
  • August 2009
  • June 2009
  • May 2009
  • April 2009
  • March 2009
  • November 2008
  • September 2008
  • May 2008
  • February 2008
  • August 2006
  • NAIC Targets ‘Unrealistic’ Annuity Illustrations

    August 9, 2011 by Linda Koco

    By Linda Koco
    Contributing Editor, InsuranceNewsNet

    State regulators are close to adopting new rules to combat what they have been called “unrealistic” illustrations that companies offer with fixed annuities.

    If the regulations are adopted and implemented, producers would have to present buyer’s guide and disclosure documents at the same time that they present the product illustration, even if the client never decides to buy. Also, the illustrations they present must meet specified standards, thus barring use of illustrations that vary widely based on software used and personal preference.

    The illustration requirements are included in proposed changes to the NAIC Annuity Disclosure Model Regulation. The Life Insurance and Annuities (A) Committee of National Association of Insurance Commissioners (NAIC) adopted the proposed changes at an early August teleconference.

    The proposed update will now go to NAIC’s late August meeting in Philadelphia for consideration, says Jim Mumford, chair of NAIC’s Annuity Disclosure (A) Working Group.

    Mumford, who is also first deputy insurance commissioner and securities administrator in the Iowa Insurance Division, predicts that NAIC will adopt the newly updated model with a two-thirds majority vote. That would make the proposed illustration regulations a formal part of the NAIC disclosure model.

    This would be the first change to the disclosure model since its 1999 adoption.

    Only 16 or 17 states have implemented the original, but Mumford believes many if not most states will adopt the new version.

    Illustrations offered with traditional fixed and indexed annuities are not subject to any regulations, he explains. But use of illustrations with fixed annuities has been growing over the past five years, and some of the documents are “pretty unrealistic,” he says. Some industry groups have complained about inconsistencies, as have state regulators.

    As a result, “a lot of states” want the new regulations, he says. Industry groups are behind the initiative too, he says.

    The NAIC Annuity Disclosure Working Group was formed three years ago to look into the matter.

    The proposed regulations that have resulted do not affect illustrations for variable annuity products. Those illustrations are already subject to regulation—by the Financial Industry Regulatory Authority (FINRA).

    Impact on producers

    The new illustration provisions appear in a new Section 6 of the updated disclosure model. This section sets standards for carriers that offer fixed and indexed annuity illustrations. But producers will need to know some things about the regulation if their state adopts the proposed new disclosure model, says Mumford.

    “First, producers should know that the illustrations won’t necessarily show how the product values will end up—not even close. In the case of fixed indexed annuities, they will show how the product works in different scenarios, such as good markets and bad markets,” he says.

    “Second, for traditional fixed annuities, the illustrations would be required to show current rates. So you can’t illustrate interest rates other than what the insurance company is currently offering for the product. You can’t go higher and you can’t use wild assumptions.”

    These rules will level the playing field between illustrations for traditional fixed annuities and fixed indexed annuities, Mumford says.

    “It would be best if advisors don’t show and illustrate those products side by side with a variable annuity,” the regulator adds, “because the illustration requirements aren’t the same.”

    Package deal

    The revised model would impact producers in another way, as well. “If they are presenting a traditional fixed annuity or a fixed indexed annuity, they would be required to give the customer the buyer’s guide for annuities, the disclosure document for the product—and the illustration if the carrier offers one.”

    Not all carriers offer fixed or indexed annuity illustrations, Mumford points out. “It’s entirely voluntary.” But if the company does provide one, “the producer must present it with the other two documents. It’s a package deal.”

    If the producer is offering a variable annuity, the producer would have to give the customer a buyer’s guide for annuities, in addition to the prospectus required by the Securities and Exchange Commission (SEC) and the illustration required by FINRA. “Again, it’s a package deal,” says Mumford.

    During the recent teleconference on the proposed regulations, Mumford amplified on the package deal point. According to the proposed regulations, he says, all three documents must be given to the client even in scenarios where a customer is not making application but is, say, participating in an informational or educational session during which an illustration is presented.

    The Annuity Disclosure Working Group was “pretty adamant” about this, Mumford said. The group didn’t want to let that illustration (go) out there all alone, without all the other information.”

    Other proposed changes

    In other proposed revisions, the disclosure model would include a definition of market value adjusted annuity. It is the same definition as appears in the Interstate Insurance Producer Regulation Commission, “because it’s pretty much accepted by everybody,” Mumford says. The definition says:

    “Market Value Adjustment or MVA feature is a positive or negative adjustment that may be applied to the account value and/or cash value of the annuity upon withdrawal, surrender, or death benefit payment or contract annuitzation based on either the movement of an index or on the company’s current guaranteed interest rate being offered on new premiums or new rates for renewal periods, if that withdrawal, surrender, or death benefit payment or contract annuitization occurs at a time other than on a specified guaranteed benefit date.”

    Also, the disclosure section of the proposed version says that, if the SEC has not completed developing a summary prospectus by Jan. 1, 2014, the disclosure requirements in the NAIC model would apply to variable annuities.

    Input

    Several insurance trade groups provided extensive input on the model revisions. These include the American Council of Life insurers, American Academy of Actuaries, and National Association for Fixed Annuities.

    The disclosure model is not the same as the NAIC’s Suitability In Annuity Transactions Model Regulation, most recently updated in 2010.

    The suitability model regulates pre-sale requirements for carriers and advisors, to ensure that what they are selling to the customer is suitable for that customer, says Mumford. The disclosure model regulates disclosure to the customer. Its purpose is to “ensure that customers have all the information they need to be sure what they buying what they think they are buying.”

    Linda Koco, MBA, is a contributing editor to InsuranceNewsNet, specializing in life insurance, annuities and income planning. Linda can be reached at linda.koco@innfeedback.com.

    © Entire contents copyright 2011 by InsuranceNewsNet.com Inc. All rights reserved. No part of this article may be reprinted without the expressed written consent from InsuranceNewsNet.com.

    Originally Posted at InsuranceNewsNet on August 8, 2011 by Linda Koco.

    Categories: Industry Articles
    currency