<?xml version="1.0" encoding="UTF-8"?><rss version="2.0"
	xmlns:content="http://purl.org/rss/1.0/modules/content/"
	xmlns:wfw="http://wellformedweb.org/CommentAPI/"
	xmlns:dc="http://purl.org/dc/elements/1.1/"
	xmlns:atom="http://www.w3.org/2005/Atom"
	xmlns:sy="http://purl.org/rss/1.0/modules/syndication/"
	xmlns:slash="http://purl.org/rss/1.0/modules/slash/"
	>

<channel>
	<title>costofcapital &#8211; Twenty Third Floor</title>
	<atom:link href="https://twentythirdfloor.co.za/category/costofcapital/feed/" rel="self" type="application/rss+xml" />
	<link>https://twentythirdfloor.co.za</link>
	<description>Perspectives</description>
	<lastBuildDate>Mon, 24 Feb 2025 16:32:05 +0000</lastBuildDate>
	<language>en-GB</language>
	<sy:updatePeriod>
	hourly	</sy:updatePeriod>
	<sy:updateFrequency>
	1	</sy:updateFrequency>
	<generator>https://wordpress.org/?v=6.9.4</generator>

<image>
	<url>https://twentythirdfloor.co.za/blog_files/wp-content/uploads/2011/07/cropped-cropped-IMG_5265_2-2-32x32.jpg</url>
	<title>costofcapital &#8211; Twenty Third Floor</title>
	<link>https://twentythirdfloor.co.za</link>
	<width>32</width>
	<height>32</height>
</image> 
	<item>
		<title>The Loss-Absorbing Capacity of Distant Dividends That Can Still Be ‘Foreseen’</title>
		<link>https://twentythirdfloor.co.za/2025/02/24/the-loss-absorbing-capacity-of-distant-dividends-that-can-still-be-foreseen/</link>
					<comments>https://twentythirdfloor.co.za/2025/02/24/the-loss-absorbing-capacity-of-distant-dividends-that-can-still-be-foreseen/#respond</comments>
		
		<dc:creator><![CDATA[David Kirk]]></dc:creator>
		<pubDate>Mon, 24 Feb 2025 16:32:05 +0000</pubDate>
				<category><![CDATA[Actuarial and Risk]]></category>
		<category><![CDATA[banking]]></category>
		<category><![CDATA[Basel III]]></category>
		<category><![CDATA[capital]]></category>
		<category><![CDATA[capital structure]]></category>
		<category><![CDATA[costofcapital]]></category>
		<category><![CDATA[life insurance]]></category>
		<category><![CDATA[managing uncertainty]]></category>
		<category><![CDATA[Solvency Assessment and Management]]></category>
		<category><![CDATA[Solvency II]]></category>
		<guid isPermaLink="false">https://twentythirdfloor.co.za/?p=3099</guid>

					<description><![CDATA[Foreseeable dividends remain a grey area in Solvency II and South Africa’s Solvency Assessment and Management (SAM). While the concept seems straightforward—capital that is likely to be distributed as dividends should not count towards regulatory solvency—its practical application is anything but clear. Regulatory Ambiguity: When Is a Dividend Foreseeable? The official guidance under Solvency II [&#8230;]]]></description>
										<content:encoded><![CDATA[
<p>Foreseeable dividends remain a grey area in Solvency II and South Africa’s Solvency Assessment and Management (SAM). While the concept seems straightforward—capital that is likely to be distributed as dividends should not count towards regulatory solvency—its practical application is anything but clear.</p>



<h3 class="wp-block-heading"><strong>Regulatory Ambiguity: When Is a Dividend Foreseeable?</strong></h3>



<p>The official guidance under Solvency II and SAM states that foreseeable dividends must be deducted from Basic Own Funds (BOF). But when does a dividend become foreseeable?</p>



<p>The <strong>European Insurance and Occupational Pensions Authority (EIOPA)</strong> defines it as follows:</p>



<blockquote class="wp-block-quote is-layout-flow wp-block-quote-is-layout-flow">
<p>“A dividend is foreseeable when the payment becomes likely considering the dividend payment history of the company, the business development throughout the year, the reference date of the assessment and, where appropriate, other relevant circumstances.†</p>
</blockquote>



<p>Similarly, the <strong>South African Prudential Authority (PA)</strong> states:</p>



<blockquote class="wp-block-quote is-layout-flow wp-block-quote-is-layout-flow">
<p>“A dividend is foreseeable at the latest when it is declared or approved by the board of directors, regardless of any requirement for formal approval at an annual general meeting.†</p>
</blockquote>



<p>On the surface, this sounds reasonable. But what does “likely† mean in this context? More than a 50% probability? Should a dividend that is merely probable be deducted against a 1-in-200 stress scenario? The dividend itself is not independent of financial stress—if an insurer were actually facing a severe loss event, that dividend likely wouldn’t be paid.</p>



<p>Defining the <em>latest </em>time to recognise a dividend as foreseeable doesn&#8217;t help in deciding when a typical or expected time might be. The PA released &#8220;technical observations&#8221; on this a little while back. Even while taking pains to highlight that technical observations don&#8217;t count as regulation, they were still unclear around what is expected.</p>



<p>The crux is that the regulatory guidance provides no clear answer on whether insurers should assume dividends payable from the preceding financial period, or always consider the next 12 months of &#8220;likely&#8221; or expected dividends. Equally, they also aren&#8217;t clear that insurers should not take a multi-year view. Some regulations on subordinated debt require a five-year term to prove permanence. Should insurers also be considering a 3- to 5-year horizon for foreseeable dividends?  That doesn&#8217;t seem to be expected, but the reasoning and application aren&#8217;t consistent across different parts of the regulations.</p>



<h3 class="wp-block-heading"><strong>The Problem of Capital Permanence, Availability, and Loss Absorption</strong></h3>



<p>Under Solvency II and SAM, regulatory capital must meet three key criteria:</p>



<ol class="wp-block-list">
<li><strong>Permanence</strong> – Capital should be available for the foreseeable future.</li>



<li><strong>Availability</strong> – It must be accessible to absorb losses when needed.</li>



<li><strong>Loss Absorption</strong> – It should genuinely absorb financial shocks.</li>
</ol>



<p>The rationale in deducting foreseeable dividends is that once a dividend has been communicated to the market or approved by internal management structures, even before shareholder approval, it is nearly impossible <em>not</em> to pay it. That capital is no longer available. </p>



<p>However, requiring insurers to deduct a full year’s dividend in advance assumes earnings have already been generated. If those earnings fail to emerge (as they wouldn’t in a 1-in-200 scenario), then the dividend would likely not be paid. The dividends can absorb these future losses. There&#8217;s a parallel here for liquidity risk &#8211; Should cash be held now to ensure liquidity for dividends months into the future, even though expected premium receipts will exceed even adverse claims—meaning the dividend could be comfortably funded from future positive cash flow?</p>



<p>Are insurers being asked to treat dividends like senior debt obligations rather than discretionary equity distributions? If so, does that undermine the core purpose of equity funding?</p>



<h3 class="wp-block-heading"><strong>Divergent Industry Practice and Alternative Approaches</strong></h3>



<p>Given this uncertainty, industry practice varies widely:</p>



<ul class="wp-block-list">
<li>Many insurers argue that only dividends expected in terms of prior financial periods should be deducted, and then only once the decision has been made to pay the dividend.</li>



<li>Some insurers take a conservative approach, deducting dividends 12 months ahead, taking a double hit from recently declared dividends and dividends for another year. This depresses reported SCR cover ratios, but should not change absolute required capital levels. Targeted SCR cover levels will often be determined using earnings at risk or economic capital models, or adverse scenarios from an ORSA &#8211; all of which will factor in the economic reality that distant future dividends are loss absorbing.</li>



<li>Other insurers accrue foreseeable dividends based on assumed payout ratio and earnings retained to date. This approach has much to recommend it, including being consistent with many banks&#8217; treatment.</li>
</ul>



<p>The <strong>FCA’s approach under Capital Requirements Regulation </strong>(CRR, which applies to banks, not insurers) summarises this last option:</p>



<blockquote class="wp-block-quote is-layout-flow wp-block-quote-is-layout-flow">
<p>“Before the management body has formally taken a decision or proposed a decision on the distribution of dividends, the amount of foreseeable dividends to be deducted shall equal the amount of interim or year-end profits multiplied by the dividend payout ratio.†</p>
</blockquote>



<p>This effectively <strong>accrues foreseeable dividends over time</strong> rather than imposing a sudden drop in solvency ratios when dividends are declared. While not part of Solvency II or SAM, it is an interesting approach that could bring greater stability to insurance solvency ratios.</p>



<h3 class="wp-block-heading"><strong>Determining SCR Cover Targets: A Practical Approach</strong></h3>



<p>Given the uncertainty in regulatory guidance, insurers should ensure that foreseeable dividends are integrated into a broader capital strategy rather than treated as a compliance checkbox. The key is to align foreseeable dividends with <strong>SCR cover targets, earnings at risk, and capital models</strong> that reflect economic reality.</p>



<p>Rather than simply applying rigid deductions, insurers should consider:</p>



<ul class="wp-block-list">
<li><strong>Economic Capital and Earnings at Risk:</strong> Many insurers set target SCR cover ratios based on earnings at risk, ensuring capital sufficiency over a medium-term horizon. Since distant future dividends are inherently <strong>loss-absorbing</strong>, capital models should reflect that rather than treating them like fixed obligations.</li>



<li><strong>Scenario-Based Capital Planning:</strong> Insurers often use <strong>adverse scenario testing</strong> to set SCR cover targets. These scenarios should reflect dividend flexibility—how payouts might adjust in stress events rather than assuming mechanical deductions.</li>



<li><strong>Aligning Regulatory and Economic Views:</strong> The disconnect between <em>regulatory</em> capital and <em>economic</em> capital is well known. A structured approach to foreseeable dividends should integrate both perspectives, avoiding artificial volatility in reported solvency while maintaining a robust risk framework.</li>
</ul>



<p>Insurers that take a strategic approach to SCR cover target setting—factoring in foreseeable dividends dynamically rather than through arbitrary deductions—are better positioned to maintain both solvency resilience and investor confidence. In a regulatory environment that lacks precise guidance, a clear, defensible methodology can differentiate well-managed insurers from the rest.</p>



<p></p>
]]></content:encoded>
					
					<wfw:commentRss>https://twentythirdfloor.co.za/2025/02/24/the-loss-absorbing-capacity-of-distant-dividends-that-can-still-be-foreseen/feed/</wfw:commentRss>
			<slash:comments>0</slash:comments>
		
		
			</item>
		<item>
		<title>Frictional cost and tax</title>
		<link>https://twentythirdfloor.co.za/2024/05/15/frictional-cost-and-tax/</link>
					<comments>https://twentythirdfloor.co.za/2024/05/15/frictional-cost-and-tax/#respond</comments>
		
		<dc:creator><![CDATA[David Kirk]]></dc:creator>
		<pubDate>Wed, 15 May 2024 15:33:49 +0000</pubDate>
				<category><![CDATA[Actuarial and Risk]]></category>
		<category><![CDATA[costofcapital]]></category>
		<category><![CDATA[Embedded Value]]></category>
		<category><![CDATA[Equity Risk Premium]]></category>
		<category><![CDATA[financial reporting]]></category>
		<category><![CDATA[IFRS17]]></category>
		<category><![CDATA[market risk]]></category>
		<category><![CDATA[measurement]]></category>
		<category><![CDATA[Solvency Assessment and Management]]></category>
		<category><![CDATA[Solvency II]]></category>
		<category><![CDATA[valuation]]></category>
		<guid isPermaLink="false">https://twentythirdfloor.co.za/?p=2881</guid>

					<description><![CDATA[There are many reasons to doubt the perfect applicability of the 6% cost of capital rate used in South Africa for the solvency Risk Margin calculation. Not least of which is the decrease to the rate in Europe and in the UK. However, if we borrow ideas from Embedded Value (TEV/EEV or MCEV) and look [&#8230;]]]></description>
										<content:encoded><![CDATA[
<p>There are many reasons to doubt the perfect applicability of the 6% cost of capital rate used in South Africa for the solvency Risk Margin calculation.<br /><br />Not least of which is the decrease to the rate in Europe and in the UK.<br /><br />However, if we borrow ideas from Embedded Value (TEV/EEV or MCEV) and look at the components of&#8230;<br /><br />A) a required premium or return for risk (2% to 6% or even higher depending who you ask); and<br />B) a frictional cost for taxes and shareholder investment expenses<br /><br />&#8230;it becomes hard to justify a rate much lower than 6% in South Africa.<br /><br />One reason for the difference from the conclusion in Europe? The absolute level of our interest rates and the additional tax drag on that. (Incidentally, this is the same reason it&#8217;s hard to make a real return outside of retirement savings vehicles and Tax Free accounts, and also why it&#8217;s more tax efficient to invest in hard currencies.)<br /><br />Keep an eye on &#8216;Frictional Costs&#8217;—a term that&#8217;s likely to become more relevant as EV reporting evolves and MCEV ideas come alive again. This could easily be 2.5% to 3.5%.<br /><br />Here&#8217;s an illustration to ponder. Your results may vary based on assumptions.</p>



<figure class="wp-block-image size-full"><a href="https://twentythirdfloor.co.za/blog_files/wp-content/uploads/2024/05/image.png"><img fetchpriority="high" decoding="async" width="799" height="495" src="https://twentythirdfloor.co.za/blog_files/wp-content/uploads/2024/05/image.png" alt="" class="wp-image-2882" srcset="https://twentythirdfloor.co.za/blog_files/wp-content/uploads/2024/05/image.png 799w, https://twentythirdfloor.co.za/blog_files/wp-content/uploads/2024/05/image-300x186.png 300w, https://twentythirdfloor.co.za/blog_files/wp-content/uploads/2024/05/image-768x476.png 768w" sizes="(max-width: 799px) 100vw, 799px" /></a></figure>
]]></content:encoded>
					
					<wfw:commentRss>https://twentythirdfloor.co.za/2024/05/15/frictional-cost-and-tax/feed/</wfw:commentRss>
			<slash:comments>0</slash:comments>
		
		
			</item>
		<item>
		<title>IFRS17 may not kill off EV</title>
		<link>https://twentythirdfloor.co.za/2024/05/11/ifrs17-may-not-kill-off-ev/</link>
					<comments>https://twentythirdfloor.co.za/2024/05/11/ifrs17-may-not-kill-off-ev/#respond</comments>
		
		<dc:creator><![CDATA[David Kirk]]></dc:creator>
		<pubDate>Sat, 11 May 2024 15:39:48 +0000</pubDate>
				<category><![CDATA[costofcapital]]></category>
		<category><![CDATA[creating value]]></category>
		<category><![CDATA[Embedded Value]]></category>
		<category><![CDATA[Featured]]></category>
		<category><![CDATA[financial reporting]]></category>
		<category><![CDATA[IFRS17]]></category>
		<category><![CDATA[life insurance]]></category>
		<category><![CDATA[measurement]]></category>
		<guid isPermaLink="false">https://twentythirdfloor.co.za/?p=2884</guid>

					<description><![CDATA[Will IFRS17 kill off Embedded Value (EV) reporting in Africa? Or will it finally bring Market Consistent Embedded Value (MCEV) to life? I gave a presentation at the Life Assurance Seminar 15 years ago on MCEV. It took off in the UK but didn&#8217;t become popular in South Africa. That might be changing. Some insurers [&#8230;]]]></description>
										<content:encoded><![CDATA[
<p>Will IFRS17 kill off Embedded Value (EV) reporting in Africa?<br /><br />Or will it finally bring Market Consistent Embedded Value (MCEV) to life?<br /><br />I gave a presentation at the Life Assurance Seminar 15 years ago on MCEV. It took off in the UK but didn&#8217;t become popular in South Africa. That might be changing.<br /><br />Some insurers have already stopped EV reporting altogether. This has some pretty unattractive implications for lines of business where using solvency-based measures with short contract boundaries distorts value.<br /><br />One of the simpler (and most useful) ways to report EV figures in an IFRS17 world is to adopt MCEV principles and pull most of the relevant figures out of existing IFRS17 reporting. If you are comfortable that your Risk Adjustment is appropriate, adjusting CSM for tax, non-attributable expenses, and frictional costs can get you to an acceptable MCEV.<br /><br />Other changes are still required for contract boundary extensions and non-insurance business. Will insurers have appetite to value these on a directly market consistent basis, or will these non market consistent values be aggregated along with purer MCEV for life insurance lines? (There&#8217;s no fundamental problem here &#8211; value is value regardless of the method.)<br /><br />Insurers have not settled on a single reporting framework. Internal measures are not even always consistent with external reporting. We absolutely need consistent, comparable, rational measures. Not least because with Value of New Business (VNB) margins under pressure almost everywhere, and analysts increasingly asking pointed questions around onerous contract (under IFRS17), an accurate and reliable measure of new business value that everyone agrees to is critical.</p>
]]></content:encoded>
					
					<wfw:commentRss>https://twentythirdfloor.co.za/2024/05/11/ifrs17-may-not-kill-off-ev/feed/</wfw:commentRss>
			<slash:comments>0</slash:comments>
		
		
			</item>
	</channel>
</rss>
