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RSSI am exploring options for centralised registration of insurance intermediaries accessible by API for compliance and filing purposes. Does such a register exist? If not is it on any roadmap?
- Topics:
- Other
Can you please make it clear if DORA supersedes and prevails other EU Regulations in case of overlapping?
- Topics:
- Other DORA topics
Could be please clarify if (direct) intragroup transactions with CIU have to be included within S.36.01 or not? Based on the already answered Q&A #907 (“… EIOPA clarifies that it was not the intention to capture the transactions with CIU as IGTS …”) we would not report such transactions.
- Topics:
- Reporting Templates
Refer to Articles 121 to 125 of the Commission Delegated Regulation (EU) 2015/35 containing the natural catastrophe risk sub-modules of SII, which specifies two events (scenarios A and B) each for Windstorm/Flood/Hail and one event for Earthquake & Subsidence perils. Article 126, Interpretation of catastrophe scenarios states that the two consecutive events (scenarios A and B) for Windstorm/Flood/Hail perils are independent. Separately, the explanatory text underlying the Guidelines on Application of outwards reinsurance arrangements to the non-life underwriting risk sub-module, Page 230, EIOPA-CP-14-036_GL-Pillar_1.pdf (europa.eu) states that “2.13.
- Topics:
- Solvency Capital Requirement (SCR)
What exactly is the definition of location of underwriting under freedom to provide services (FPS)? and would this differ from location of risk for Non-life insurance?
- Topics:
- Reporting Templates
Please can you confirm the CIC code to be applied to loans secured on policies. Should it be CIC 86 (which is loans on policies) or CIC 88 (which is loans to other natural persons).
- Topics:
- Reporting Templates
I would like to ask what the difference is between the templates S.06.02 and S.11.01. There are the same items to be reported in both templates, there are some other items in S.06.02, but it seems that there will be the same figures in S.11.01. Do the subjects report the same assets in both templates (S.06.02 and S.11.01) or should be reported different items in S.11.01? If there are the same items to be reported in both templates, there is no need to have S.11.01 as all the information could be found in S.06.02.
- Topics:
- Reporting Templates
In COMMISSION IMPLEMENTING REGULATION (EU) 2023/894 of 4 April 2023 S.37.02 it sais the following: S.37.02 – Risk Concentration – Exposure by currency, sector, country General comments: The tables shall include the risk concentration between entities in the scope of group supervision and third parties. All exposures should be represented by currency, sector and country, starting from the maximum exposure to the minimum one. In case the country, sector or currency is not relevant the figures may be reported under an ‘Other’ category.
- Topics:
- Reporting Templates
- Risk concentration
- Group Solvency Requirement
The Annex II log for S.23.01, R0770 and R0780 Expected profits included in future premiums changed with taxonomy 2.8.0 with addition of the text - gross of reinsurance and taxes (i.e. without considering their impact). Normally R0790 would be the sum of row R0770 and R0780. However for this row the text did not change with the text addition. Should R0790 therefor still be the sum of Row 0770 and R0780, or should R0790 be a separate amount showing the total Net sum instead of Gross amounts?
- Topics:
- Reporting Templates