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Barnett Waddingham
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Solvency II disclosures

Published by John Hoskin on

It may feel like there’s plenty of time before the Solvency and Financial Condition Report (SFCR) and Regular Supervisory Report (RSR) submission deadlines, but the scattered nature of the regulation and the high volume of information required make the task of preparing the reports far from trivial.

In this briefing note we:

stress the need for firms to start thinking about these reports as soon as possible, if they have not done so already;

• outline the rules and guidance available; and

• highlight some of the key issues they are likely to face.

While we hope most firms have already started addressing the requirements, any that haven’t really should start now. If they don’t, they could find themselves up against significant time pressures closer to the reporting deadline.

To continue reading the full briefing note, please follow the link below.

Solvency II disclosures
110.5 KB | PDF

About the author

  • John Hoskin

    John brings a breadth of both industry and consulting experience with particular expertise in relation to regulation and the management of unit-linked business including unit pricing.

    View Biography

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