To: All Insurance companies, including captive insurance companies and other persons licensed to transact business in South Carolina
From: Raymond G. Farmer, Insurance Director
Purpose
As you are aware, South Carolina and most other states are in a State of Emergency related to the 2019 Novel Coronavirus (COVID-19). As a part of the South Carolina Department of Insurance’s response to this pandemic, this bulletin advises all company licensees of the changes to compliance deadlines for certain regulatory requirements during the COVID-19 public health emergency. This flexibility is being provided, in part, to recognize that we and other states anticipate using additional targeted information requests to gather more specific information related to this public health emergency. Your prompt attention to those matters is appreciated.
Regulatory Filing Deadlines
At this time, insurers and HMOs are still required to make all required electronic filings with the NAIC (e.g., quarterly financial statements, audited financial reports) or to the analyst assigned to your company for those filings that are not filed directly with the NAIC. However, the Department is allowing insurers additional time to complete and submit certain filings as set forth below. To receive the additional time, all insurers must submit a notification for late filing for your company. The Department reserves the right to require an earlier filing based upon the financial condition and unique circumstances deemed applicable to that company.
If your company can meet the current filing deadlines as required by law or by order, especially audited financial reports for those with upcoming examinations, you are encouraged to do so. Any extensions on company-specific deadlines not listed below (e.g., captives with alternate fiscal year-ends) require an extension request and prior approval. Please submit an electronic copy of your notification of intent to file specific filing(s) by the deadlines listed below or send an extension request to fnclmail@doi.sc.gov or captivemail@doi.sc.gov, as applicable. Effective immediately, the due dates for regulatory filings are extended as described below.
Filings Eligible for 30-day Extension
The deadline for the following filings is extended 30 days:
Filing | Current Deadline | Revised Deadline |
Combined Annual Statement Filing (Property) | May 1, 2020
| June 1, 2020 |
Combined Insurance Expense Exhibit (Property) | May 1, 2020
| June 1, 2020 |
Accountant’s Letter of Qualifications (Property, Life/Fraternal, Health, Title) | June 1, 2020
| July 1, 2020 |
Captive Insurance Company Annual Audit and Annual Certification of Loss Reserves and Loss Expense Reserves (excluding risk retention groups) | June 30, 2020 | July 30, 2020 |
Captive Insurance Company Annual Report and supplemental filings (excluding risk retention groups) | July 1, 2020 | August 1, 2020 |
PBR Exemption filing due to state 7/1 and to NAIC 8/15 (Life/Fraternal) | August 15, 2020
| September 15, 2020 |
Filings Eligible for a 60-day Extension
The deadline for the following filings is extended 60 days:
Filing | Current Deadline | Revised Deadline |
2020 Actuarial Memorandum Required by Actuarial Guideline XXXVIII 8D (Life/Fraternal)– submitted only to insurer’s state of domicile | April 30, 2020 | June 30, 2020 |
Audited Financial Report (Property, Life/Fraternal, Health, Title) | June 1, 2020
| August 1, 2020 |
Communication of Internal Control Related Matters Noted in Audit (Property, Life/Fraternal, Health, Title | August 1, 2020
| October 1, 2020 |
Corporate Governance Annual Disclosure | June 1, 2020
| August 1, 2020 |
Management’s Report of Internal Control Over Financial Reporting (Property, Life/Fraternal, Health, Title) – submitted only to insurer’s state of domicile | August 1, 2020 | October 1, 2020 |
The annual renewal date for Reinsurance Intermediaries is extended from June 1, 2020 to August 1, 2020 to correspond with the extension for the Audited Financial Reports.
NAIC Quarterly Filings Due May 15, 2020
The NAIC filing deadlines and requirements for the 1st Quarter 2020 electronic filings, normally due May 15, 2020, are extended to June 15, 2020:
- Quarterly Statement Filing as of March 31, 2020 (Property, Life/Fraternal, Health, Title)
- Trusteed Surplus Statement – Quarter Ending March 31, 2020 (Property, Life/Fraternal)
- Supplement A to Schedule T (Medical Professional Liability Supplement) – Quarter Ending March 31, 2020 (Property)
- Medicare Part D Coverage Supplement – Quarter Ending March 31, 2020 (Property, Life/Fraternal, Health)
- Merger/history quarterly form, if applicable (Property, Life/Fraternal, Health, Title) (electronic txt file only)
- Reasonableness of Assumptions Certification Required by Actuarial Guideline XXXV – Quarter Ending March 31, 2020 (Life/Fraternal)
- Reasonableness and Consistency of Assumptions Certification Required by Actuarial Guideline XXXV – Quarter Ending March 31, 2020 (Life/Fraternal)
- Reasonableness of Assumptions Certification for Implied Guaranteed Rate Method Required by Actuarial Guideline XXXVI – Quarter Ending March 31, 2020 (Life/Fraternal)
- Reasonableness and Consistency of Assumptions Certification Required by Actuarial Guideline XXXVI (Updated Average Market Value) – Quarter Ending March 31, 2020 (Life/Fraternal)
- Reasonableness and Consistency of Assumptions Certification Required by Actuarial Guideline XXXVI (Updated Market Value) – Quarter Ending March 31, 2020 (Life/Fraternal)
- Director and Officer Insurance Coverage Supplement – Quarter Ending March 31, 2020 (Property)
The Comprehensive Quarterly Analysis (CQA) filing normally due June 1, 2020 is also extended to July 1, 2020.
Electronic Filings and Signatures
The Department recognizes that many licensees are working remotely. Some have asked about the use of electronic signatures on filings submitted to this agency. The Department will accept an electronic signature on the jurat or other pages in lieu of a wet ink signature provided the party submitting the document or other filing has complied with the requirements of the South Carolina Uniform Electronic Signatures Act (SCUETA). Most jurat pages are required to be notarized. Under SCUETA, a law requiring a signature or record to be notarized, acknowledged, verified, or made under oath is satisfied if the electronic signature of the person authorized to perform those acts, together with all other information required to be included by other applicable law, is attached to or logically associated with the signature or record.
Regarding these filing requirements, the Department will accept and encourages companies to only file electronic copies of filings during this State of Emergency. Companies are expected to keep the original filing and a list of all filings that were made electronically in lieu of hard copy filings. Once the State of Emergency has been lifted, companies will have 60 days to submit hard copies.
On-site Examinations
Some insurers have inquired about the Department’s examination schedule and whether the Department will continue to conduct on-site examinations during the COVID-19 pandemic. The Department can perform full-scope examinations electronically and intends to fully comply with any government directives regarding public gatherings. It will not conduct any on-site examination work that is contrary to the spirit of any public health directive. To facilitate this, insurers should be aware that the Department may need to request more information in electronic form, and it is expected that independent auditors will take a similar position. Insurers currently scheduled for an upcoming examination are encouraged to proactively file the audited financial report and not wait until the extended deadline.
Questions
Questions about this bulletin or the extensions described above should be directed to the attention of Michael Shull at mshull@doi.sc.gov or 803-737-6188.