WA OIC Technical Assistance Advisory 2021-02
Commissioner's Universal Life Reserve Valuation Method
ICE OF THE CODE REVISER
STATE OF WASHINGTON
FILED
DA TE: March 10, 2021
TIME: 9:35 AM
WSR 21-07-037
MIKE KREIDLER
Phone: 360-725-7000
STATE OF WASHINGTON
STATE INSURANCE COMMISSIONER
www.insurance.wa.gov
OFF
OFFICE OF
INSURANCE COMMISSIONER
Technical Assistance Advisory 2021-021
TO:
All Life Insurers that have issued Universal Life policies
FROM:
Insurance Commissioner Mike Kreidler
DATE:
February 17, 2021
SUBJECT:
Commissioner’s Universal Life Reserve Valuation Method
The purpose of this Technical Assistance Advisory (“TAA”) is to summarize current law and to
remind insurers of the rule and application of the Universal Life Reserve Valuation Method.
The Insurance Commissioner issues this TAA to assist insurers in complying with the Washington
Universal Life (“UL”) regulations found at WAC 284-84, and specifically the Insurance
Commissioner’s Reserve Valuation Method set out in WAC 284-84-030.
This guidance applies to all policies issued in Washington on or after January 1, 1987. It differs
slightly from the NAIC UL Model Regulation. The difference results from WAC 283-84-030’s
inclusion of subsection (6), quoted below, which reflects a drafting note in the NAIC UL Model:
(6) To the extent that the insurer declares guarantees more favorable than those in the policy
(contractual guarantees), such declared guarantees shall be applicable to the determination
of future guaranteed benefits.
This rule requires that the valuation interest rate be no higher than any contract guaranteed interest
rate (including the 0% implicit guarantees in Indexed UL contracts). Variable UL (“VUL”) is
generally exempt. However, accounts or segments within VUL policies that include fixed interest
guarantees must not be reserved at interest rates higher than the fixed interest guarantees. If an
Indexed UL policy (or an indexed segment of a UL policy) has a zero floor, its implied guarantee of
0% would be the maximum valuation interest rate. This would also apply to the guaranteed interest
rate included in any secondary guarantee.
The NAIC UL Model Regulation (Model #585) and Washington UL regulations (WAC 284-84) are
part of Appendix A of the Valuation Manual. However, these regulations are not applicable to the
reserve calculation for Principle-Based Reserves Universal Life with Secondary Guarantees policies.
VM-20 section 3 supersedes these regulations for policies subject to Principle-Based Reserves
(“PBR”) that meet the definition of “Universal Life with Secondary Guarantees.”
1This advisory is an interpretive policy statement released to advise the public of the OIC’s current opinions, approaches,
and likely courses of action. It is advisory only. RCW 34.05.230(1).
Mailing Address: PO Box 40255 Olympia, WA 98504-0255
Street Address: 5000 Capitol Blvd Tumwater WA 98501
OFFICE OF THE INSURANCE COMMISSIONER
Technical Assistance Advisory 2021-02
Universal Life Reserve Valuation Method
February 17, 2021
Page 2
Neither cash flow testing requirements nor Valuation Manual provisions conflict with or supersede
these UL regulation reserve requirements. The rule remains in effect under RCW 48.74. There also
does not appear to be any provision for ignoring these requirements due to any perceived
immateriality of the additional reserves. Therefore, we expect all companies with policies issued in
Washington on or after January 1, 1987, to hold reserves according to these requirements by year end
2020.
To the extent that valuations are compliant with the Valuation Manual and PBR, but are regulated by
standards that do not refer to NAIC Model #585 (the NAIC UL Model Regulation), they are exempt
from the requirements of WAC 284-84-030(6) for policies issued on or after January 1, 2020.
Please direct any questions about this advisory to Steven Drutz, Chief Financial Analyst, at
SteveD@oic.wa.gov, or at 360-725-7529.