Insurance Topics | Risk-Based Capital (2024)

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Risk-Based Capital

Background

Last Updated: 5/9/2024
Issue:Regulators are charged with ensuring that insurance companies can fulfill their financial obligations to policyholders. One way they do this is by imposing a risk-based capital (RBC) requirement. The RBC requirement is a statutory minimum level of capital that is based on two factors: 1) an insurance company’s size; and 2) the inherent riskiness of its financial assets and operations. That is, the company must hold capital in proportion to its risk. RBC is intended to be a regulatory standard and not necessarily the full amount of capital that an insurer would need to hold to meet its objectives.

The purpose of RBC requirements is to identify weakly capitalized companies, which facilitates regulatory actions to ensure policyholders will receive the benefits promised without relying on aguaranty associationor taxpayer funds. In essence, the RBC formula calculations are critical thresholds that enable timely regulatory intervention. RBC requirements are not designed to be used as a stand-alone tool in determining financial solvency. Rather, RBC is one of the tools that gives regulators legal authority to take control of an insurance company.

Background:Regulators use RBC requirements to determine the minimum amount of capital required for an insurer to support its operations and write coverage. The RBC standard for life and property/casualty (P/C) companies is based on theRisk-Based Capital (RBC) For Insurers Model Act(#312), which the NAIC initially adopted in 1993 (latest revision, 2011). Likewise, the RBC standard for health insurers is theRisk-Based Capital (RBC) for Health Organizations Model Act(#315), which the NAIC initially adopted in 1998 (latest revision, 2009). The model laws outline methods for measuring this minimum amount of capital.

Before the RBC standard was established, regulators generally usedfixedcapital standards as a primary tool for monitoring the financial solvency of insurance companies. Under fixed capital standards, every insurance company was required to hold the same minimum amount of capital, regardless of its financial condition, size, and risk profile. Fixed minimum capital requirements were largely based on value judgements of the drafters of the statutes, and they varied widely among the states.

A large number of insurer insolvencies in the 1980s was the driving force for the NAIC’s RBC standard. A1992 reportby the U.S. General Accounting Office (GAO) details 176 life and health insurer insolvencies from 19751990; 80% of these insolvencies occurred after 1982. The multitude of insolvencies made clear the inherent problems with fixed capital standards. One problem was that fixed capital standards did not address the variation in fundamental risks across sectors and companies. Another problem was that they did not address the differences in the size of insurers in determining the appropriate minimum amount of capital.

In the early 1990s, the NAIC established a working group to look at the feasibility of developing a statutory RBC requirement for insurers. In 1992, the NAIC adopted a life RBC formula, which was implemented in 1993. There are now separate RBC formulas for each of the primary insurance lines of business: 1) life and fraternal; 2) P/C; and 3) health. Differences in RBC across lines of business reflect differences in the economic environments facing these companies. Although the components in the RBC calculation differ across lines of business, the formulation is roughly the same. The generic RBC formula works by:

  • Adding up the main risks insurance companies commonly face.
  • Considering potential dependencies among these risks.
  • Allowing for the benefits of diversification.[1]

For example, RBC requirements inlife insuranceare based on five categories of risk:

  • Insurance affiliates and Misc. Other-this is the risk from declining value of insurance subsidiaries as well as risk from off-balance sheet and other misc. accounts (e.g., DTAs).
  • Asset risk—Asset risk refers to risks associated with investments held by the insurer. These risks include the possibility of default of bonds or loss of market value for equities (mostly common stock).
  • Insurance (underwriting) risk—Insurance (or underwriting) risk reflects the amount of surplus (assets – liabilities) available to offset possible losses from excess claims.
  • Interest rate risk—Interest rate risk involves potential losses due to changing interest rates.[2]
  • Business risk—Business risk reflects the general health of the insurer. This involves largely operational risks, such as the potential for losses or insolvency due to poor management.

The health and P/C RBC formulas consider similar types of risk. However, the risk components may vary slightly between formulas. For example, interest rate risk is included only in the life formula.

Under the RBC system, regulators have the legal authority to take preventive and corrective measures. These measures vary depending on the capital deficiency indicated by the RBC result. Capital sufficiency is the ratio of total adjusted capital to Authorized Control Level RBC including Basic Operational Risk. There are four levels of regulatory intervention [3]. If the ratio is at or above 200%, no regulatory intervention is needed. Below that ratio, interventions range from submission of action plans to a regulatory takeover of the management of the company. If the ratio is below 70%, a regulator is obligated to take over management of the company. These preventive and corrective measures are designed to provide for early regulatory intervention to correct problems before insolvencies become inevitable, thereby minimizing the number and adverse impact of insolvencies.

[1]See Tom Herzog, “The Simple Algebra of the Square Root Formula Behind RBC and Solvency II,”CIPR Newsletter, Volume 1, October, 2011. Solvency II is the European risk aggregation method (or RBC equivalent).

[2]These risks include disintermediation and spread compression. Disintermediation typically is associated with rising interest rates and involves the surrender of insurance products with fixed payouts (such as fixed annuities) in favor of higher-yielding assets. Spread compression is associated withlower interest rates. For products with fixed payouts, the insurer could find itself earning lower returns on its assets with no commensurate fall in interest rates on liabilities with fixed payouts.

[3] See Martin Eling and Ines Holzmüller, 2008,“An Overview and Comparison of Risk-Based Capital Standards,”Journal of Insurance Regulation,26(4), 31–60.

Actions

Status:The RBC system is consistently updated to meet the changing regulatory environment. TheCapital Adequacy (E) Task Forceand its working groups and subgroups manage the RBC calculations. These groups include the:

  • Health Risk-Based Capital (E) Working Group
  • Life Risk-Based Capital (E) Working Group
  • Property and Casualty Risk-Based Capital (E) Working Group

RBC formulas are reviewed annually.Adopted Modifications to Risk-Based Capital Formulasand are publicly available on theNAIC website. More details on current-year revisions for RBC reporting can be found in the following websites. Newsletters are published annually in August (under the Documents tab):

  • Life Risk-Based Capital (E) Working Group(newsletter)
  • Longevity Risk (E/A) Subgroup
  • Variable Annuities Capital and Reserve (E/A) Subgroup
  • Health Risk-Based Capital (E) Working Group(newsletter)
  • Property and Casualty Risk-Based Capital (E) Working Group(newsletter)
  • Catastrophe Risk (E) Subgroup

TheCapital Adequacy (E) Task Force’sworking agendaincludes numerous efforts to monitor, evaluate, and consider potential improvements in RBC requirements across all lines of business, including refinements to the updated RBC formulas and ensuring consistency in RBC treatment across asset types and the various components of RBC calculations. RBC-related efforts include, among others,

  • monitoring and evaluation of changes to the variable annuities RBC framework,
  • recommendations for an appropriate treatment of longevity risk transfers,
  • continued development of the economic scenario generator (ESG),
  • evaluations of risk charges based on catastrophe model output and other catastrophe risks,
  • evaluation of current growth risk methodologies, and
  • evaluation of current underwriting risk framework.

TheRisk-Based Capital Investment Risk and Evaluation (E) Working Groupis evaluating the appropriate RBC treatment ofAsset-Backed Securities(ABS), includingCollateralized Loan Obligations (CLO) and similar “complex assets.” The working groups are also charged with reviewing the effectiveness of RBC policies and procedures, as well as comparability between RBC formulas.

For 2023, RBC considerations include:

  • an evaluation of refinements to the existing NAIC RBC formulas implemented in 2022,
  • Financial Condition (E) Committeeconsideration of the finalized structure of life and fraternal, property/casualty (P/C), and health RBC formulas,
  • consideration of improvements and revisions to the RBC blanks to promote uniformity with respect to changes made in other NAIC areas (and as other needs are identified),
  • review of the effectiveness of the NAIC’s RBC policies and procedures with respect to their effect on the accuracy, audit ability, and timeliness of reporting access to RBC results, and
  • a review of comparability between the RBC formulas.

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Thursday, August 15, 2024 National Meeting Financial Condition (E) Committee McCormick Place Convention Center—Grand Ballroom—Level 1 9:00 AM ET, 8:00 AM CT, 7:00 AM MT, 6:00 AM PT 1 hr

About This Meeting

Financial Condition (E) Committee

Financial Condition (E) Committee

Thursday, August 15, 2024 8:00 AM CDT

McCormick Place Convention Center—Grand Ballroom—Level 1

  • Agenda
  • Minutes
Thursday, July 25, 2024 Interim Meeting Calendar Health Risk-Based Capital (E) Working Group The purpose of the meeting is to consider the adoption of meeting minutes, consider 2023 RBC statistics, 2024 newsletter and discuss any other matters. 12:00 PM ET, 11:00 AM CT, 10:00 AM MT, 9:00 AM PT 1 hr

About This Meeting

HRBCWG 20240725

Financial Condition (E) Committee

Thursday, July 25, 2024 11:00 AM CDT

The purpose of the meeting is to consider the adoption of meeting minutes, consider 2023 RBC statistics, 2024 newsletter and discuss any other matters.

Friday, June 28, 2024 Interim Meeting Calendar Capital Adequacy (E) Task Force The purpose of this meeting is to consider adoption of proposals 2024-09-CA (Underwriting Risk Investment Risk Factor), 2024-13-CA (Receivable for Securities Factors), 2024-16-CA (Revised Preamble), 2024-17-L (BA Mortgages Omitted AVR Line Factor), 2024-18-CA (Residual Factor for PC& Health), 2024-15-L (Collateral Loans); discuss the possibility of establishing a new subgroup to evaluate the non-investment risk issues; discuss the referral from the Statutory Accounting Principles (E) Working Group (SAPWG) regarding the investments in tax credit structures and; hear updates from the SAPWG on the potential revision on Schedule BA Collateral Loans Disclosures and Reporting Lines. 12:00 PM ET, 11:00 AM CT, 10:00 AM MT, 9:00 AM PT 1 hr

About This Meeting

CapAd 20240628

Financial Condition (E) Committee

Friday, June 28, 2024 11:00 AM CDT

The purpose of this meeting is to consider adoption of proposals 2024-09-CA (Underwriting Risk Investment Risk Factor), 2024-13-CA (Receivable for Securities Factors), 2024-16-CA (Revised Preamble), 2024-17-L (BA Mortgages Omitted AVR Line Factor), 2024-18-CA (Residual Factor for PC& Health), 2024-15-L (Collateral Loans); discuss the possibility of establishing a new subgroup to evaluate the non-investment risk issues; discuss the referral from the Statutory Accounting Principles (E) Working Group (SAPWG) regarding the investments in tax credit structures and; hear updates from the SAPWG on the potential revision on Schedule BA Collateral Loans Disclosures and Reporting Lines.

Friday, June 21, 2024 Interim Meeting Calendar Risk-Based Capital Investment Risk and Evaluation (E) Working Group The purpose of this meeting is to discuss comments received on residual proposal. 12:00 PM ET, 11:00 AM CT, 10:00 AM MT, 9:00 AM PT 2 hrs

About This Meeting

Risk-Based Capital Investment Risk and Evaluation (E) Working Group - 06212024

Financial Condition (E) Committee

Friday, June 21, 2024 11:00 AM CDT

The purpose of this meeting is to discuss comments received on residual proposal.

  • IID Assessment of Residual Proposals
  • Modified Guardian – TIAA Proposal
Tuesday, June 18, 2024 Interim Meeting Calendar Life Risk-Based Capital (E) Working Group The purpose of this meeting is to discuss comments received on the BA mortgage proposal and the American Academy of Actuaries' updates on C-3 covariance. The agenda and materials will be distributed when available. 12:00 PM ET, 11:00 AM CT, 10:00 AM MT, 9:00 AM PT 2 hours

About This Meeting

LRBCWG 6.18.24

Financial Condition (E) Committee

Tuesday, June 18, 2024 11:00 AM CDT

The purpose of this meeting is to discuss comments received on the BA mortgage proposal and the American Academy of Actuaries' updates on C-3 covariance. The agenda and materials will be distributed when available.

Monday, June 17, 2024 Interim Meeting Calendar Property and Casualty Risk-Based Capital (E) Working Group The purpose of the call is to 1) consider adoption of proposal 2024-14-P (UW Risk Line 1 Factors); 2) discuss the possible modification of the RBC statistics; and 3) hear updates from the Academy on its current projects. 10:00 AM ET, 9:00 AM CT, 8:00 AM MT, 7:00 AM PT 1 hr

About This Meeting

PCRBCWG 20240617

Financial Condition (E) Committee

Monday, June 17, 2024 9:00 AM CDT

The purpose of the call is to 1) consider adoption of proposal 2024-14-P (UW Risk Line 1 Factors); 2) discuss the possible modification of the RBC statistics; and 3) hear updates from the Academy on its current projects.

Thursday, April 25, 2024 Interim Meeting Calendar Property and Casualty Risk-Based Capital (E) Working Group The purpose of the call is to 1) consider adoption of joint meeting of the Property and Casualty Risk-Based Capital (E) Working Group and Catastrophe Risk (E) Subgroup Spring National Meeting Minutes; 2) consider adoption of Proposal 2023-17-CR (Climate Scenario Analysis); 3) consider adoption of Proposal 2024-10-P (Other Health Line); and 4) consider adoption of Proposal 2024-11-P (UW Lines 4 & 8 Factors). 1:00 PM ET, 12:00 PM CT, 11:00 AM MT, 10:00 AM PT 1 hr

About This Meeting

PCRBCWG 20240425

Financial Condition (E) Committee

Thursday, April 25, 2024 12:00 PM CDT

The purpose of the call is to 1) consider adoption of joint meeting of the Property and Casualty Risk-Based Capital (E) Working Group and Catastrophe Risk (E) Subgroup Spring National Meeting Minutes; 2) consider adoption of Proposal 2023-17-CR (Climate Scenario Analysis); 3) consider adoption of Proposal 2024-10-P (Other Health Line); and 4) consider adoption of Proposal 2024-11-P (UW Lines 4 & 8 Factors).

  • Materials

Committees Active on This Topic

Financial Condition (E) Committee

Health Insurance and Managed Care (B) Committee

Life Insurance and Annuities (A) Committee

Working Groups

Capital Adequacy (E) Task Force

Catastrophe Risk (E) Subgroup

Health Risk-Based Capital (E) Working Group

Life Risk-Based Capital (E) Working Group

Property and Casualty Risk-Based Capital (E) Working Group

Risk-Based Capital Investment Risk and Evaluation (E) Working Group

Variable Annuities Capital and Reserve (E/A) Subgroup

Contacts

Media queries should be directed to the NAIC Communications Division at 816-783-8909 or news@naic.org.

Insurance Topics | Risk-Based Capital (2024)

FAQs

What is risk-based capital for insurance? ›

The RBC requirement is a statutory minimum level of capital that is based on two factors: 1) an insurance company's size; and 2) the inherent riskiness of its financial assets and operations. That is, the company must hold capital in proportion to its risk.

What are the risk-based capital factors for NAIC? ›

In 1992, the NAIC adopted the life risk-based capital (RBC) formula with an implementation date of year-end 1993. The formula was developed for specific regulatory needs. Four major categories were identified for the life formula: asset risk; insurance risk; interest rate risk; and all other business risk.

What is a good risk-based capital ratio? ›

A bank is considered "well-capitalized" if it has a tier 1 ratio of 8% or greater and a total risk-based capital ratio of at least 10%, and a tier 1 leverage ratio of at least 5%.

What is Tier 1 capital vs risk-based capital? ›

Total risk-based capital is the sum of Tier 1 and Tier 2 capital. Under the guidelines, banking organizations are required to maintain a minimum Total risk-based capital ratio (total capital to risk-weighted assets) of 8% and a Tier 1 risk-based capital ratio of 4%.

What are examples of risk capital? ›

Risk capital is typically used for speculative investments in penny stocks, angel investing, private lending, futures and options trading, private equity, day trading and swing trading of stocks and commodities. Many of these markets indirectly influence who can put risk capital in them.

What is capital at risk in insurance? ›

Capital at risk is used as a buffer by insurance companies in excess of premiums earned from underwriting policies. Capital at risk helps pay for claims or expenses in the event that premiums collected by the company aren't enough to cover them.

What is the requirement for the insurer under the risk based capital framework? ›

Under the current RBC framework there is a requirement that the non-unit reserves for investment-linked products (ILP) are determined by ensuring that all future cash flows can be met without recourse to additional finance or capital support at any future time during the lifetime of the policy.

What is the difference between risk based capital and solvency 2? ›

The RBC approach offers only a point-in-time assessment of capital levels and is essentially a retrospective view of capital. The Solvency II approach uses a one-year capitalization time horizon.

What are Basel III risk based capital requirements? ›

The Basel III accord raised the minimum capital requirements for banks from 2% in Basel II to 4.5% of common equity, as a percentage of the bank's risk-weighted assets. There is also an additional 2.5% buffer capital requirement that brings the total minimum requirement to 7%.

How to calculate risk capital? ›

The risk-adjusted capital ratio is used to gauge a financial institution's ability to continue functioning in the event of an economic downturn. It is calculated by dividing a financial institution's total adjusted capital by its risk-weighted assets (RWA).

What is the minimum capital for insurance companies? ›

The minimum capital requirement for a life insurance company in India is Rs. 100 crores, as per the Insurance Regulatory and Development Authority of India (IRDAI). This requirement is specified in the Insurance Act, 1938.

What is the solvency ratio of risk-based capital? ›

The solvency ratio is used to determine the minimum amount of common equity banks must maintain on their balance sheets. The solvency ratio—also known as the risk-based capital ratio—is calculated by taking the regulatory capital divided by the risk-weighted assets.

What is Tier 2 risk based capital? ›

Tier 2 capital is a type of gone-concern capital. This means that, if a bank fails, its tier 2 assets will absorb any losses before its creditors or depositors do.

How to calculate RWA? ›

Calculating risk-weighted assets

Banks calculate risk-weighted assets by multiplying the exposure amount by the relevant risk weight for the type of loan or asset. A bank repeats this calculation for all of its loans and assets, and adds them together to calculate total credit risk-weighted assets.

What is the Basel 3 framework? ›

Basel III is an internationally agreed set of measures developed by the Basel Committee on Banking Supervision in response to the financial crisis of 2007-09. The measures aim to strengthen the regulation, supervision and risk management of banks.

What is risk based approach in insurance? ›

The Risk-Based Approach (RBA) is a methodical process used by financial services organisations to assess, manage, and mitigate risks associated with their operations, clients, and services.

How does risk capital work? ›

Mechani- cally, risk capital is essentially cash set aside in a loss reserve with the spe- cific purpose of providing a cushion against losses that may arise in a particular business line or asset/liability portfolio.

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