1
Introduction
1.1
This supervisory statement is of primary interest to all UK Solvency II firms and to the Society of Lloyd’s. It sets out the Prudential Regulation Authority’s (PRA’s) expectations of firms regarding the following Solvency II approvals:
- internal model;
- matching adjustment (MA), ancillary own funds (AOF) and undertaking specific parameters (USPs); and
- other Solvency II approvals including: exclusion of an entity from the scope of group supervision; single group own risk and solvency assessment (ORSA); solvency and financial condition report (SFCR) dispensation; and calculation method for the group solvency capital requirement.
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1.2
This statement expands on the PRA’s general approach as set out in its insurance approach document.[1] By clearly and consistently explaining its expectations of firms in relation to the particular areas addressed, the PRA seeks to advance its statutory objectives of ensuring the safety and soundness of the firms it regulates, and contributing to securing an appropriate degree of protection for policyholders. The PRA has considered matters to which it is required to have regard, and it considers that this statement is compatible with the Regulatory Principles and relevant provisions of the Legislative and Regulatory Reform Act 2006. This statement is not expected to have any direct or indirect discriminatory impact under existing UK law.
Footnotes
- 1. The Prudential Regulation Authority’s approach to insurance supervision, June 2014; https://www.bankofengland.co.uk/-/media/boe/files/prudential-regulation/approach/insurance-approach-2014.pdf
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1.3
This statement has been subject to public consultation[2] and reflects the feedback that was received by the PRA.
Footnotes
- 2. PRA Consultation Paper CP24/14, ‘Solvency II approvals’, October 2014; www.bankofengland.co.uk/pra/Documents/publications/cp/2014/cp2314.pdf.
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