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Bulletin
2002-1 TO:
All Property & Casualty Insurers Writing FROM:
Merwin U. Stewart DATE:
January 1, 2002 SUBJECT:
Voluntary
Expedited Filing Procedures for Background
There has been much uncertainty in the markets for commercial lines property and casualty insurance coverage in light of the substantial losses experienced by the industry on September 11, 2001. Soon after the events, many reinsurers announced that they did not intend to provide coverage for acts of terrorism in future reinsurance contracts. This led to a concerted effort on behalf of all interested parties to seek a temporary federal backstop to calm market fears over future terrorists attacks and the ability of the insurance industry to allocate capital to provide coverage for these unpredictable and potentially catastrophic events. Unfortunately, Congress has been unable to reach agreement on the terms of a temporary federal solution. As a result, insurance regulators find themselves having to consider approval of certain coverage exclusions for acts of terrorism or risk possible serious solvency concerns in the insurance industry. The intent of this bulletin is to inform you of the decision in this state to allow certain limited exclusions for acts of terrorism and to provide a voluntary procedure for insurers to use to expedite the filing and timely review of these limited exclusions. As commissioner I was involved in recent discussions at the National Association of Insurance Commissioners (NAIC) related to this issue. In a recent conference call the members of the NAIC adopted a motion that “if the Congress adjourns without enacting federal terrorism legislation, the states should grant conditional approval to commercial lines endorsements that exclude coverage for acts of terrorism consistent with the exclusion framework developed by Insurance Services Office, Inc. (ISO). To the extent permitted by state law, such approvals would sunset or be withdrawn 15 business days after the President signs into law a federal backstop to address insurance losses attributed to acts of terrorism, or be subject to other conditions on the approval consistent with state law.” By this bulletin, I am informing you of my intent to act in a manner consistent with the recommendation from the NAIC membership. I believe this to be the best course of action as it balances the need of insurers to have some certainty related to solvency concerns with the business consumer’s concerns that their businesses not be subject to uninsured events. To date many unacceptable exclusions have been
filed by insurers to be attached to commercial lines insurance products.
These endorsements will be prohibited for use in this state as
inconsistent with the interests of public policy and inconsistent with the
following provisions of law: Utah Code
Annotated Subsection §31A-21-201(3)(a)(i)(h) Instead of approving the
very broad total exclusions of coverage for acts of terrorism, this state
intends to allow exclusions that are substantially similar to the series
of optional endorsements developed by the ISO. These endorsements include
the following: COMMERCIAL PROPERTY
INTERLINE ENDORSEMENT: IL 09 41 01 02 In an unprecedented move in recognition of the seriousness
of the situation, ISO has indicated that it will permit the use of its
copyrighted language by any insurer, including one that is not a current
licensee of ISO for policy forms. Insurers that are current licensees of
ISO for policy forms can use the new language pursuant to their current
ISO agreements and acknowledged by this state of its forms. If you are
properly affiliated with ISO, and have given them authorization to file on
your behalf, no further action is needed on your part. Any insurer that does not have a license agreement in
effect with ISO for policy forms is required to execute a short, limited
license agreement that authorizes the use of the new language. ISO has
indicated that there will be no fee for this limited license. You may
contact ISO’s Customer Service department directly for more information
at 1-800-888-4ISO(4476) using option 2. You may also contact ISO at
“info@ISO.com.” You will be responsible for assuring compliance with
this state’s filing requirements, however, you may find that the
expedited process outlined in this bulletin to be helpful in receiving
prompt acknowledgement of your filing. Explanation and Instructions for Expedited Review
Attached
to this bulletin is a uniform filing transmittal form that has been agreed
upon by this state and other states. An insurer wishing to receive
expedited treatment of its filing for acknowledgment shall complete the
EXPEDITED FILING—TERRORIST EXCLUSIONS APPLICATION Form Filing
Transmittal as directed. In addition, the insurer(s) submitting this
filing must certify that it is either using one or more of the ISO
endorsements or has developed its own exclusionary language that provides
coverage at least as broad as the filed ISO endorsement with respect to
coverage granted to policyholders. Further, the insurer(s) must certify
that the reason for filing these endorsements is that it is unable to
obtain reinsurance coverage for acts of terrorism. Certification is made
by signing the appropriate blank on the transmittal form. To be complete, a form
filing must include the following: 1. A completed, certified Form Filing Transmittal Header for each insurer 2. One copy of each endorsement, unless you have given ISO authorization to file them on your behalf. 3. The appropriate filing fee of $20 per company, per line of business. 4.
A postage-paid, self-addressed envelope large enough to accommodate the return. Note that a comparable
filing transmittal form is available in SERFF. DATED this 1st day of
January, 2002. ___________________________________ This page
applies to the following state(s) ___________
Contact Info for Filer
Filing information
To be complete, a form filing must include the following:
The insurer(s) submitting this filing certifies that
it is:
Using
one of the approved ISO endorsements; or
Using
an endorsement that provides coverage that is at least as broad as the
ISO endorsements.
That
it is unable to obtain reinsurance coverage for acts of terrorism.
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