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Insurance Topics | Federal Insurance Office | NAIC Background The Federal Insurance Office (FIO) was established by Title V of the federal Dodd-Frank Wall Street Reform and Consumer Protection Act of 2010 (Dodd-Frank) The FIO is housed within the U S Department of the Treasury and is headed by a director who is appointed by the secretary of the Treasury The office provides expertise on insurance matters to the Treasury Department and other
May 2025 Eliminate the Federal Insurance Office The Federal Insurance Office (FIO) was established in 2010 under the Dodd-Frank Wall Street Reform and Consumer Protection Act Operating within the U S Department of the Treasury, FIO was tasked with monitoring the insurance industry, identifying regulatory gaps, and representing the United States in international insurance matters
The New Federal Insurance Office The FIO does have some important duties It is charged with monitoring all aspects of the insurance industry and identifying issues or gaps in regulation that could contribute systemic risk It is authorized to monitor the extent to which underserved communities have access to affordable insurance products It serves as a non-voting member of the Financial Stability Oversight Council, which
Financial Reform FIO Dodd-Frank Financial Services Regulatory Reform: NAIC Initiatives Federal Insurance Office (FIO) Title V of the Dodd-Frank Wall Street Reform and Consumer Protection Act established a Federal Insurance Office (FIO) within the Department of the Treasury to: Collect and analyze information regarding the insurance industry; Assist the Financial Stability Oversight Council (FSOC) in identifying
NAIC Announces 2025 Federal Legislative and Regulatory Priorities Today, the National Association of Insurance Commissioners (NAIC) announced its 2025 federal legislative and regulatory priorities, which are focused on further strengthening the national system of state-based insurance regulation in the United States These priorities aim to foster an innovative, competitive, and secure insurance marketplace, enhance access to insurance to safeguard the
NAIC Responds to FIO’s Climate-Related Financial Risk Data Collection . . . The National Association of Insurance Commissioners (NAIC) has sent a letter to the U S Department of the Treasury in response to its Federal Insurance Office’s (FIO) request for comment on a proposed data collection from property and casualty insurers regarding underwriting data on homeowners’ insurance to assess climate-related financial risk Read the letter
Property Casualty Insurance Market Intelligence Data Call 2024 Key Dates March 8, 2024 Letter sent to companies June 6, 2024 Data due from companies Insurance regulators have agreed to participate in a property and casualty market intelligence data call to collect data related to homeowners insurance This data will assist state insurance regulators in better understanding homeowner insurance markets at a state and ZIP Code level, including how
NAIC Responds to FIO Request for Information on Climate-Related . . . The National Association of Insurance Commissioners (NAIC) responds to the Federal Insurance Office’s (FIO) Request for Information (RFI) on the insurance sector and climate-related financial risks As the primary regulators of this sector, state insurance regulators are on the frontlines of climate-related natural catastrophe preparedness and response, protecting policyholders and
Insurance Topics | Terrorism Risk Insurance Act | NAIC In the absence of private market innovations and solutions, sustaining a viable private market for terrorism insurance depends on a federal backstop The NAIC and state insurance commissioners play an essential role in administering TRIP, issuing timely guidance to insurers, and consulting with the Federal Insurance Office (FIO) and its TRIP
Microsoft Word - Annuities. doc These requirements include the FIO and USTR to jointly submit the agreement to the House Financial Services, House Ways and Means, Senate Banking, and Senate Finance committees on a day the House and Senate are in session and wait for a period of 90 days to elapse How can a Covered Agreement preempt state law?