Transcript - the Bermuda Captive Conference
CAPTIVE 101
From a, Legal, Regulatory, Actuarial and Taxation Perspective
Speakers
• • • •
Speakers:
Neil, Horner, Partner and Head of Corporate, Attride-Stirling & Woloniecki Scott Slater, Tax Manager, PWC Darren Ma, Actuary, PWC Leslie Robinson, Assistant Director, Insurance Licensing & Authorization, Bermuda Monetary Authority •
Moderator:
Beverley Todd, Executive Vice President, JLT Insurance Management
Bermuda Captive 101 – A legal primer
Why form a captive in Bermuda
• • • • • • • Prudent and flexible regulation Speed to market Access to the Bermuda reinsurance market World class infrastructure Pre-eminent captive domicile Excellent judicial system Intellectual capital
Bermuda Captive 101 – A legal primer
The Path to Licensing
• • • • • Select service provider team Apply to incorporate the company Apply to licence the company Incorporate, organise and capitalise Registration as an insurer/reinsurer
Bermuda Captive 101 – A legal primer
Choosing the team
• • • • Insurance manager to manage the captive and principal representative Auditors Lawyers and corporate administrators Actuary if required
Bermuda Captive 101 – A legal primer
Captive formation
• Captive formation involves incorporation of a company under the Companies Act 1981 and registration under the Insurance Act 1978 • Quite distinct processes – possible to run both simultaneously or apply to incorporate ahead of licensing application
Bermuda Captive 101 – A legal primer
Incorporation
• • • • • Application to incorporate company made on specific application form to Registrar of Companies and Bermuda Monetary Authority (“BMA”) Controller of Foreign Exchange Details of proposed ownership structure in captive must be disclosed right through to ultimate beneficial owners BMA vets shareholders to make sure they are “fit and proper” persons - must also be approved as ‘shareholder controllers’ of insurance company Individuals owning more than 5% of voting equity of captive must also complete a personal declaration form Though we do not have “off the shelf” incorporations, incorporation process is very streamlined and can have ‘same day’ approval
Bermuda Captive 101 – A legal primer
Insurance application
• Application to register as an insurer must be made to the BMA Insurance Division • Application made on a Monday of each week and considered at the weekly Friday meeting of the Assessment and Licensing Committee (“ALC”) of the BMA • ALC may call upon assistance of Technical Advisory Group (“TAG”) composed of industry representatives in all classes except “pure captive” (Class 1 applications) • ALC/TAG may approve the application with or without conditions, approve it conditional upon production of certain information, defer it or decline it if business case cannot be substantiated
Bermuda Captive 101 – A legal primer
Mechanics of insurance application
• Application will have cover letter from the captive’s attorneys together with the business plan for the captive setting out the business case for the captive • Pre-incorporation form must be completed • Proforma financials should be included preferably over 5 year period and ideally actuarially evaluated to test adequacy of reserves, solvency margins and liquidity ratios • Details of service providers should also be included (insurance manager, auditor, loss reserve specialist and principal representative
Bermuda Captive 101 – A legal primer
Business Plan
• • • • • • Details of Shareholder Proposed insurance program Capitalisation of the company Directors Service Providers Reinsurance arrangements
Bermuda Captive 101 – A legal primer
Steps to insurance registration
• • • Incorporation Organisation of company – Hold board and shareholder meetings to: • issue shares • • adopt bye-laws appoint auditors and insurance manager Capitalise captive – Amount of capital will depend on class of insurer
Bermuda Captive 101 – A legal primer
Application for insurance registration
• File formal application with the BMA • Formal application is on form 1B- will be identical to pre-incorporation form • Formal registration can be the date consent is received or as the shareholder wishes • Company can then write business
Bermuda Captive 101 – A Tax Perspective Agenda
– Introduction – US Tax Benefits to forming a Captive – US Taxation of a Captive – Summary
Bermuda Captive 101 – A Tax Perspective
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Insurance - Understanding the U.S. Tax Benefits: Captive versus Self Funding
FAS 5 Standard for accruing liabilities • “Estimable and Probable” Standard • US Tax Standard for deducting accrued liabilities under IRC § 461 “Economic Performance Standard” • • Liability must be “fixed and determinable” Economic performance occurs within 8 ½ months (i.e., payment) restrict deductibility to ‘cash method’ • US Insurance Company Taxation (Subchapter L): • May establish (i.e., deduct) a reserve which is ‘fair and reasonable’ • May earn certain revenues over period of obligation (e.g., Extended Service Contracts)
Bermuda Captive 101 – A Tax Perspective
Insurance - Understanding the U.S. Tax Benefits: Captive versus Self Funding
• In a consolidated group, the federal income tax benefit of a captive is not deductibility of premium, it is the ability to establish deductible loss reserves • Achieve Tax/GAAP parity • • Special Treatment for “Small Insurance Companies” • IRC § 501(c) Tax Exempt – – Gross Receipts < $600,000 on a controlled group basis • – >50% GR must be insurance premiums IRC § 831(b) Election – Taxed only on investment income – Premium levels $350,001 to $1.2M
Estate and Wealth Transfer Benefits
Bermuda Captive 101 – A Tax Perspective
Definition of Insurance: What is insurance for U.S. tax purposes?
• Neither the Internal Revenue Code nor the Treasury Regulations define the term “insurance” or “insurance contract.” • In 1941, the Supreme Court in LeGierse determined insurance did not exist where two linked insurance contracts failed to shift risk of loss away from insured. Established requisite components of insurance: • • Presence of “insurance risk” Required “risk shifting” and “risk distribution” • Insurance was found in its commonly accepted sense • A number of Rulings and cases have defined these components over time.
Bermuda Captive 101 – A Tax Perspective
Entity Level Taxation: IRC
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953(d) Election
(‘D’ Company) - Election to be treated as a US domestic insurance company – taxed on worldwide income • Requirements of the ‘d’ election • • Must be ‘insurance’ company (would be subject to tax under Subchapter L) 25% or more shares owned by U.S. persons • • Revenue Procedure 2003-47 (guidance/steps for making the election) US Office and Assets – Assets of affiliate (if filing consolidated return) – Unencumbered US assets – Letter of Credit • Election specifics • Due by filing of first US tax return (typically 3/15 unless extended to 9/15) • • Election irrevocable without consent Cannot re-elect for five years
Bermuda Captive 101 – A Tax Perspective
Entity Level Taxation: IRC
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953(d) Election Advantages
• • • • • • • Exemption from the US federal excise tax on premiums paid to a foreign insurance company Exemption from the withholding tax imposed on certain types of fixed and periodic (“FDAP”) income from US sources Exemption from the “branch profits tax” imposed on certain earnings of foreign corporations that are engaged in a US trade or business Ability to hold meetings and conduct business activities within the US – Does not alleviate state regulatory concerns Ability to join in filing a consolidated US federal income tax return (if applicable) Ability to more freely invest in US property Ability of US shareholders to enjoy the benefit of the dividends-received deduction
Bermuda Captive 101 – A Tax Perspective
Entity Level Taxation: IRC
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953(d) Election Disadvantages
• Potential for double taxation on distributions made to shareholders • Mandatory change of the company’s tax year end to December 31 or the year end of the parent company in consolidation • Subject to current taxation on worldwide income with no treaty benefits available • Subject to Dual Consolidated Loss Rules
Bermuda Captive 101 – A Tax Perspective
Entity Level Taxation: IRC
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953(d) Election
– 953(d) Company – US tax filings • • • Form 1120-PC – annual Form TD F 90-22.1 – annual – if own foreign bank accounts Estimated Tax Payments - quarterly – Audit/Accounting issues – Requires tax accrual at the entity level
Bermuda Captive 101 – A Tax Perspective
Entity Level Taxation: IRC
§
953(c)(3)(C)
(‘C’ Company) - Foreign insurance company may elect to treat RPII as effectively connected income • Requirements • Must be ‘insurance’ company (would be subject to tax under Subchapter L) • Must be a CFC (25% or more shares owned by U.S. persons) • • Election irrevocable without consent Revenue Procedure 2003-47 – Guidance/steps for making the election •
VERY RARE
Bermuda Captive 101 – A Tax Perspective
Shareholder Level Taxation: CFC
U.S. has no authority to tax foreign corporations not engaged in a U.S. trade or business • Controlled Foreign Corporation or “CFC” Rules (1962) • Two tier test – ‘US Shareholder’ defined » 10% or more voting stock – – Collectively owning >50% vote or value For “Insurance Income” – special >25% Rule • – – Deemed distribution provisions Insurance income Foreign personal holding company income » Interest, dividends, capital gains, etc.
• – – Audit/Accounting issues Generally no tax accrual at the CFC level FIN 48 – Determination if a US trade or business
Bermuda Captive 101 – A Tax Perspective
Shareholder Level Taxation: RPII CFC
Related Person Insurance Income, or “RPII” Rules (1986) • • • • • Defined as insuring the US persons who control or is controlled by the ‘insurer’ – Required RPII / Non-RPII split of management accounts ‘Any’ Shareholder replaces 10% voting shareholder for these purposes 25% or more replaces the >25% ownership test De minimus exception – – Less than 20% RPII Less than 20% vote value held by related persons Audit/Accounting issues – – Generally no tax accrual at the RPII CFC level FIN 48 – Determination if a US trade or business
Bermuda Captive 101 – A Tax Perspective
• • • •
Shareholder Level Taxation: US tax compliance
U.S. Shareholder • Form 5471 – Category 3 » » Certain contributions – situational If RPII CFC - annual – Category 5 – if Captive is a CFC – annual » Inclusion of Subpart F income • Form 926 - situational – Certain contributions U.S. Officers and Directors • Form 5471 - situational – Category 2 – Acquisitions of 10% or more by a U.S. shareholder Insureds • Form 720 - quarterly – excise tax on US risk to foreign insurer Captive • ‘protective’ return (optional) - annual
Bermuda Captive 101 – A Tax Perspective
Bermuda Captive 101 – A Tax Perspective
Gross Level Taxation: US Federal Excise Tax
Federal Excise Tax IRC §§ • 4371- 4373 4% on direct premiums • • 1% on life, annuity, health, and reinsurance Assessed on premiums ‘paid’ – Any party to the transaction is liable for the tax • Cascading theory – – Treaty benefit based on residence of (re)insurer Rev Rul 2008-15 » US Corp insures risk with ‘treaty-exempt’ Foreign Insurer.
» » » Foreign Insurer reinsures with ‘non-treaty exempt’ Foreign Insurer.
‘Conduit Agreement’: FET on both transactions No ‘conduit agreement’: FET on reinsurance transaction – Potential impact on captives » Enforcement issues??
• Not a FIN 48 Issue – FAS 5
Bermuda Captive 101 – An Actuarial Perspective
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Agenda
Setting up Captive • • • • Captive Feasibility Help Type of Captive Reasons for Captive Capital Strain • • Other Considerations Captive Pricing Trends
Bermuda Captive 101 – An Actuarial Perspective
Captive Feasibility Help
• Quantify costs associated with Company’s proposed program. (Premium) • Reinsurance Optimisation (Net Retention) • Project Liabilities (Reserves)
Bermuda Captive 101 – An Actuarial Perspective
Captive Feasibility Help
• • • • • Business forecast projection at various confidence levels What plans are there for the captive i.e. staggered implementation What are the potential risks e.g. unexpected losses, volatility shocks Pricing / funding / initial reserves of the captive Setting economic capital vs statutory capital
Bermuda Captive 101 – An Actuarial Perspective
Type of Captive
• –
Pure Captive
Own prior experience – Future expectations • –
Association Captive / Risk Retention Group
Pooled Experience • –
Agency / Rental / Sponsored Captive (Segregated Cell)
Pooled Solvency
Bermuda Captive 101 – An Actuarial Perspective
Reasons for Captive
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Cost Stability
•
Less Cyclical Pricing
•
Access to Reinsurance
•
Better Internal Control
•
Improved Cashflow
Bermuda Captive 101 – An Actuarial Perspective
Capital Strain
• • • • May need more comprehensive reinsurance to start Retain larger limits and add more risk as capital builds Realistic growth projections Careful claims management
Bermuda Captive 101 – An Actuarial Perspective
Captive Pricing Trends
• • • • Commercial Property – Market Still Soft WC – Price Declines but Medical Costs Up Professional Liability – High Surplus and Declining Premium Medical Malpractice – Frequency Stable but Loss Costs Up
Bermuda’s Captive Regulation
Agenda
• • • • • • • • Legislation Other Guidance Class Structure Ratios & Margins Statutory Financial Return Supervisory Model & Risk-Based Framework Regulatory Approach International Initiatives
Bermuda’s Captive Regulation
• Insurance Act 1978 • Insurance Accounts Regulations 1980 • Insurance Returns & Solvency Regulations 1980 • Non-Resident Insurance Undertaking Act 1967 • Segregated Accounts Companies Act 2000
Guidance Notes:
Bermuda’s Captive Regulation
20 separate Guidance Notes issued to date: • • • • • • • • Role of service providers Market Conduct Corporate Governance Risk Management and Internal Controls Investment Activity Investments in Affiliates Enhanced Capital Special Purpose Insurers
Bermuda’s Captive Regulation
Code of Conduct
• Establishes duties, requirements and standards to be complied with by insurers including the procedures and sound principles to be observed; • Application will take into account the insurer’s nature, scale and complexity • Captive insurers should be mindful of the controls framework.
proportionality principle
in establishing a sound corporate governance, risk management and internal
Bermuda’s Captive Regulation
Classes of General Insurance
• •
Class 1 Class 2
• • • •
Class 3 Class 3A Class 3B Class 4
- Pure Captives - Group / Association Captives Captives writing less than 20% unrelated business - Captives writing up to 50% unrelated business - Small Commercial Insurers - Large Commercial Insurers - Property Catastrophe / Excess Liability
Bermuda’s Captive Regulation
Other Classes of Insurance
•
Long-Term Insurers
- Insurer writing long-term business (annuity or life, some accident and health business) •
Special Purposes Insurers
- Insurer fully funds its liabilities to the persons insured through a debit issuance or some other approved financing mechanism; cash; or time deposits.
Bermuda’s Captive Regulation
Minimum Solvency Margin requirements
Bermuda’s Captive Regulation
Statutory Financial Return
• • • • • Cover Sheet Declaration of Statutory Ratios Solvency Certificate Auditors Report Loss Reserve Specialist Opinion
Class 1
Only required if discounting reserves to meet solvency margin or more than 30% of the business written is professional liability
Class 2
Triennially (unless discounting reserves to meet solvency margin, or more than 30% of the business written is professional liability)
Class 3
Annually
Bermuda’s Captive Regulation
• Captive vs. Commercial • Risk-Based Approach • Role of Principal Representative and Insurance Manager • Captive Manager On-sites • Segregated Accounts Companies (Rent-a-Captives).
Bermuda’s Captive Regulation
Pragmatic Approach to Regulation
• • • • • “The World’s Risk Capital” Creativity and Innovation Section 56 Directions Modifying accounting regulations – Approving “relevant assets” – – Admitting assets Modifying filing requirements Regulations consistent with International Standards but applied appropriately for Bermuda Market.
Bermuda’s Captive Regulation
International Initiatives:
• • • • Monitoring and Actively Contributing to International Regulatory Developments International Association of Insurance Supervisors (“IAIS”) – Member of IAIS Executive Committee – – Chair the Reinsurance Transparency Group Authority staff are on a total of 13 IAIS Committees Solvency II – Capital Adequacy, Group Supervision, Disclosure & Transparency – Bermuda seeking Solvency II equivalence We believe our captive regime is already in accordance with international standards, however, we continue to monitor any global developments relevant to captives and we will adjust our regime accordingly.
Bermuda’s Captive Regulation
WWW.BMA.BM
Bermuda Captive 101
Questions?
•
Beverley Todd
, Executive Vice President, JLT Insurance Management (Bermuda) Ltd.
•
Neil Horner
, Partner and Head of Corporate, Attride-Stirling & Woloniecki •
Scott Slater
, Tax Manager, PWC •
Darren Ma
, Actuary, PWC •
Leslie Robinson
, Assistant Director, Insurance Licensing & Authorization, Bermuda Monetary Authority