Just off the press (updated 11 April 2019) this brief (2+ pages) CRS Insight report by Diane P. Horn and Baird Webel is another timely one: The National Flood Insurance Program (NFIP), Reinsurance, and Catastrophe Bonds.
Download CRS_Insight_NFIP_11April2019
Introduction
Insurance generally serves to transfer risk from one entity who does not want to bear that risk to another entity that does. An initial insurance purchase, such as homeowners buying a policy to cover damage to their home, however, is often only the first transfer of that risk. The initial (or primary) insurer may then transfer (or cede) some or all of this risk to another company or investor, such as a reinsurer. Reinsurers may also further transfer (or retrocede) risks to other reinsurers. Such risk transfers are, on the whole, a net cost for primary insurers, just as purchasing insurance is a net cost for homeowners.The Homeowner Flood Insurance Affordability Act of 2014 (P.L. 113-89) revised the authority of the National Flood Insurance Program (NFIP) to secure reinsurance from “private reinsurance and capital markets.” Risk transfer to the private market could reduce the likelihood of the Federal Emergency Management Agency (FEMA) borrowing from the Treasury to pay claims. In addition, it could allow the NFIP to recognize some of its flood risk up front through premiums it pays for risk transfers rather than after-the-fact borrowing, and could help the NFIP to reduce the volatility of its losses over time. However, because reinsurers charge premiums to compensate for the assumed risk as well as the reinsurers’ costs and profit margins, the primary benefit of reinsurance is to manage risk, not to reduce the NFIP’s long- term fiscal exposure.
Enjoy!
"You are piling up a heritage of conflict and litigation over water rights for there is not sufficient water to supply the land" - John Wesley Powell, 1893
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