MT CSI Advisory Memorandum of 2011-05-02

Notice Requirements When Employing an Agency Book Transfer Program

Year: 2011Length: 522 wordsOfficial source
COMMISSIONER OF SECURITIES & INSURANCE MONICA J. LINDEEN COMMISSIONER OFFICE OF THE MONTANA STATE AUDITOR ADVISORY MEMORANDUM To: All Property and Casualty Insurers L' nsed in Mo ana From: Date: Employing Agency Book Transfer MONICA J. LINDEEN Commissioner of Securiti s Montana State Auditor May 2, 2011 NOTICE REQllREMENTS WHEN EMPLOYING AN AGENCY BOOK TRANSFER PROGRAM Certain insurers are considering employing an agency book transfer program wherein insureds are offered an opportunity to transfer their business as part of a mass (book) transfer that will result in multiple transfers of business from one insurer to another, with a transition period of approximately three to four years. The transition period would allow the insurer to adjust premiums to initially match tbe insured's current rate for the product transferred, but ultimately the premium for the new insurer will differ, eitber increasing or decreasing over the transition period based on the new insurer's rating plan. In an effort to clarify the office of the Commissioner of Securities and Insurance, Montana State Auditor (CSI), position with regard to these transfers, insurers are reminded of their responsibility to continue to comply witb all provisions of the Montana Insurance Code, Mont. Code Ann. §§ 33-1-101, e/ seq. The CSI requires these transfers to be treated as new business. To protect consumers, induding providing enough information to the individual consumer to ensure an informed choice is made, the CSI interprets Mont. Code Ann. §§ 33-18- Phone: 1-800-332-61481 (406) 4+)-2040 / Main Fax: (406) 444-3497 Securities Fax: (406) 44+-5558 / PHS Fax: (406) 444-1980 I Legal Fax: (.mo) #1-3499 840 Helena Ave., Helena MT 59601 Website: www.csi.mt.gov E-Mail: csi@mt.gov 102,33-18-202, 203 and 204, to mean insurers engaging in this practice must include in the notice a statement indicating the true dollar amount the consumer's premium would be if it were not for the transition period. This dollar amount must appear in the notice in a bolded font size of 14 points or larger. The notice must also contain an accurate description of how the consumer's premium may be impacted during the three to four year transition period, including a description of how rates are determined. Further, the CSI construes Mont. Code Ann. §§ 33-18- 102, 33-18-202,203 and 204, to mean insurers engaging in this practice must develop a notice form that contains statements regarding the use of credit information that conforms with the requirements of the Montana Use of Credit Information in Personal Insurance Act found at Mont. Code Ann. § 33-18-601 through 612. Additionally, because these transfers are treated as new business, the notice should also clearly indicate consumers will be subject to the provisions of Mont. Code Ann. § 33-15-1103(3), and could potentially result in cancellation within the first 60 days of issuance of the new policy. The statement regarding this potential cancellation must also be in a bolded font of 14 points or larger. The notice forms must be filed with and approved by the CSI pursuant to the provisions of Mont. Code Ann. § 33-1-501. If you have questions about filing forms, please contact Rosann Grandy, Forms Bureau Chief at (406) 444-2040 or at rgrandy@mt.gov. 2
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