SC Insurance Bulletin 2007-04
Bulletin 2007-04 Flood Insurance Training Requirements for the Insurance Producers With Prop. (NFIP)
South Carolina
Department of Insurance
Capital Center
1201 Main St., Suite 1000
Columbia, South Carolina 29201
_________________________
Mailing Address:
P.O. Box 100105, Columbia, S.C. 29202-3105
Telephone: (803) 737-6223
MARK SANFORD
Governor
SCOTT RICHARSON
Director of Insurance
BULLETIN NUMBER 2007-04
TO:
All Property Insurers and Insurance Producers with Property Insurance
Authority
FROM:
Scott H. Richardson, CPCU
Director of Insurance
SUBJECT: Flood Insurance Training Requirements for Insurance Producers With
Property Insurance Authority Selling Through the National Flood Insurance
Program (NFIP)
DATE:
April 23, 2007
_____________________________________________________________________________
Section 207 of the Flood Insurance Reform Act of 2004 requires all producers selling
flood insurance policies under the National Flood Insurance Program (NFIP) to be
properly trained and educated about the NFIP to ensure producers may best serve their
clients.
The Act1 directs the Director of the Federal Emergency Management Agency (FEMA),
in cooperation with the insurance industry, state insurance regulators, and other interested
parties to establish minimum training and education requirements for all insurance agents
who sell flood insurance policies. FEMA and state approved continuing education
providers are developing courses related to the NFIP. An insurance producer who sells
flood insurance may satisfy the minimum training and education requirements by
completing a course related to the NFIP, which may be approved for three hours of
continuing education credit by the South Carolina Department of Insurance. The failure
to comply with this continuing education requirement may jeopardize the producer’s
authority to write insurance through the NFIP.
1 SUPPLEMENTARY INFORMATION: On June 30, 2004, the President signed the Bunning-Bereuter-Blumenauer Flood Insurance
Reform Act of 2004 (Flood Insurance Reform Act of 2004), Pub. L. 108-264. Section 207 of the Flood Insurance Reform Act of 2004
states:
“The Director of the Federal Emergency Management Agency shall, in cooperation with the insurance industry, State insurance
regulators, and other interested parties (1) Establish minimum training and education requirements for all insurance agents who sell
flood insurance policies, and (2) Not later than 6 months after the date of enactment of this Act, publish these requirements in the
Federal Register, and inform insurance companies and agents of the requirements.”
All South Carolina licensed resident insurance producers who sell federal flood insurance
policies must comply with the minimum training requirements of Section 207 of the
flood insurance Reform Act of 2004 and basic flood education as outlined at 70 Fed.
Reg., 52117 (Sept. 1, 2005),2 or such later requirements as are published by FEMA.
Licensed insurers shall demonstrate to the director or his designee, upon request, that
their licensed and appointed producers who sell federal flood insurance policies have
complied with the minimum federal flood insurance training requirements.
Please direct any questions regarding this bulletin to Mary Ann O’Brien at
agntmail@doi.sc.gov or (803) 737-6193 the address and phone number listed above.
2 This notice describes FEMA’s implementation of Section 207 of the Flood Insurance Reform Act of 2004. As required by the Act,
FEMA has coordinated with the State insurance regulators, the insurance industry, and other interested parties. Input received from
these organizations emphasizes the value of working through the State insurance departments to avoid establishing conflicting or
burdensome training requirements upon insurance agents. While implementing the minimum training requirements required by
Section 207, FEMA has been mindful of the Senate Report language (S.REP.No. 108-262, at 4&9 (2004), which cautions: In some
cases, states may already have requirements to ensure that agents are well versed in the flood insurance program. Where possible,
FEMA should work to make sure that agents are not burdened with inconsistent state and federal training and education requirements.
In addition, where possible, FEMA should work to implement the training requirements through the states, which already have
continuing education processes in place.