By Daphne Frydman and Eric Arnold, Partners, Sutherland Asbill & Brennan LLP
Proposed rulemaking by the Financial Stability Oversight Council (FSOC) and the Board of Governors of the Federal Reserve to advance the regulatory process of implementing Section 113 of Dodd-Frank have various raised concerns. This Alert discusses one concern about the development and imposition of new standards that would apply to certain insurers and subject them to Board supervision without sufficient input from the insurance industry and its regulators.
"Recent notices of proposed rulemaking published by the FSOC and the Board of Governors of the Federal Reserve System (Board) to advance the regulatory process of implementing Section 113 of The Dodd-Frank Wall Street Reform and Consumer Protection Act of 2010 (Dodd-Frank Act) have raised questions among members of Congress, state regulators and the insurance industry," write Daphne Frydman and Eric Arnold. "In particular, there is a concern about the development and imposition of new standards that would apply to certain insurers and subject them to Board supervision without sufficient input from the insurance industry and its regulators."
"The FSOC issued an advanced notice of proposed rulemaking on October 6, 2010, seeking public comments on the development of specific criteria and a regulatory framework by which it will consider designating nonbank financial companies for supervision. The FSOC reviewed the 50 comment letters submitted, many from insurers and their trade associations, and, on January 18, 2011, released the notice of proposed rulemaking (NPR) on Section 113 of the Dodd-Frank Wall Street Reform and Consumer Protection Act. The NPR outlines the criteria that will inform, and the process and procedures established under the Dodd-Frank Act for, the FSOC's designation of certain United States and foreign nonbank financial companies, which are defined to include insurers, to be supervised by the Board," explain the authors. "The FSOC can require such Board supervision if it determines that the material financial distress at a particular firm, or the nature, scope, size, scale, concentration, interconnectedness, or mix of the activities at the firm, could pose a threat to the financial stability of the United States. Public comments to the recent NPR from the FSOC identify shortcomings and potential flaws with the FSOC's proposed framework and the lack of transparency in the process of developing the framework. The comment period ended February 25, 2011."
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Daphne Frydman is a member of Sutherland's Corporate Practice Group and works on a broad range of corporate transactions for U.S. and foreign companies. She works on mergers and acquisitions, public and private securities offerings, financing transactions and structured products.
Eric Arnold is a member of the Sutherland's Financial Services Practice Group, where he focuses his practice on insurance, securities and banking law issues involving the distribution of insurance and investment products by broker-dealers, investment advisers and other financial intermediaries.
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Great article thank you for the info on the Dodd-Frank Act.