2024-03-04
The Financial Sector Conduct Authority has published a general exemption allowing microinsurers to bypass Rule 2A.6.1 of the Long-Term Policyholder Protection Rules, which previously restricted their waiting periods to three months. This regulatory change permits microinsurers to implement up to six-month waiting periods for death, disability, and health events, thereby reducing adverse selection and aligning their pricing with traditional insurers. Subject to specific contractual conditions, the exemption serves as an interim measure to promote market competition and financial inclusion for low-income consumers while awaiting the full implementation of the Conduct of Financial Institutions framework.
1 FSCA COMMUNICATION 6 OF 2024 (INS) Publication of general exemption of Microinsurers from Rule 2A.6.1 of the Policyholder Protection Rules (Long-Term Insurance), 2017
2 microinsurer inheriting or attracting higher risks, which may have been deterred by longer waiting periods included on a comparable funeral product offered by other life insurers. 2.4 Therefore the proposed exemption would allow the microinsurers to provide similar waiting periods to traditional insurers, which aligns with the policy proposal mooted in the Microinsurance Regulatory Framework policy document, alluded to in 2.1 above. Input from stakeholders and the public was invited until 14 November 2023. 3. COMMENTS RECEIVED DURING THE PUBLIC CONSULTATION 3.1 The FSCA received comments from four industry stakeholders. All commentators confirmed support of what is contained in the draft Exemption Notice and the direction taken in this respect. Only one commentator sought clarity in respect of the condition set out in subparagrah 2.2 (c). The commentator wanted to understand whether sub-paragraph 2.2(c) of the draft Exemption Notice meant that the insurer must continue to provide insurance cover, even in the event of not receiving insurance premiums until the policy contract reached a 12-month period. 3.2 The conditions in the Notice must be read as a whole and the sub-paragraph must not be read in isolation. The 12-month period referred to in sub-paragraph 2.2(c) is the contractual period contemplated when a micro insurer imposes the waiting period as allowed for in terms of this exemption. It does not mean that the insurer must remain on risk if no insurance premiums are received. Where a policyholder does not meet its obligations to pay the premium, the insurer is not required by this condition in the Exemption Notice to continue providing cover. 3.3 No further queries or concerns were raised by stakeholders and the FSCA, with the concurrence of the Prudenial Authority, proceeded according with the publication of the final notice. 4. GENERAL EXEMPTION FROM RULE 2A.6.1 4.1 As such, the FSCA, through the notice, exempts all microinsurers from Rule 2A.6.1 of the LT PPRs, subject to the conditions as set out in the notice. This will align the regulatory framework with the intended policy objectives of promoting market development, competition and financial inclusion by enabling microrinsurers to provide affordable and accessible policies to vulnerable and low-income consumers. The exemption will level the playing field between traditional insurers and microinsurers, promote market development within the microinsurance sector and deepen financial inclusion through competitive pricing. 4.2 As alluded to in FSCA Communication 26 of 2023 (INS), longer-term solutions will be considered as part of the process of developing a regulatory framework under the Conduct of Financial Institutions (CoFI) Bill and transitioning the existing sector laws (such as the Policyholder Protection Rules) to the new framework under the CoFI Bill. The exemption is therefore intended to serve as an interim solution pending the transition of the Policyholder Protection Rules to the new conduct framework under the CoFI Bill. 5. AVAILABILITY OF THE EXEMPTION NOTICE AND ENQUIRIES 5.1 The exemption Notice, together with this Communication, is available on the FSCA’s website (https://www.fsca.co.za) under Regulatory Framework > Notices > Insurer / Microinsurer > 2024.
3 5.2 For more information regarding this Communication or FSCA INS Notice 3 of 2024, please contact the FSCA Regulatory Framework Department by emailing Johann.Vanderlith@fsca.co.za KATHERINE GIBSON DEPUTY COMMISSIONER FINANCIAL SECTOR CONDUCT AUTHORITY Date of publication: 04 March 2024