ACM recently took a public position in opposition to a proposal by the NAIC’s F Committee to add the definition of “multi-state reinsurer” in the preamble to the NAIC Accreditation Standards. We believe this proposal has unintended and broad reaching consequences and are joining other regulators and industry leaders such as CICA in opposing it. You can find our position letter via this link and if you have any questions about ACM’s position or the issue generally, please do not hesitate to contact ACM’s General Counsel and Chief Compliance Officer, Dana Sheridan.
Current comment letters may be viewed on the NAIC site at: http://www.naic.org/committees_f.htm. The NAIC periodically updates and changes their website and this link may change.