i

Important security note: Warning of attempted fraud in the name of DWS

We have detected that fraudulent individuals are misusing the "DWS" trademark and the names of DWS employees on the internet and social media. These fraudsters are operating fake websites, Facebook pages, and WhatsApp groups. Please be aware that DWS does not have any Facebook Ambassador profiles or WhatsApp chats. If you receive any unexpected calls, messages, or emails claiming to be from DWS, exercise caution and do not make any payments or disclose personal information. We encourage you to report any suspicious activity to info@dws.com, including any relevant documents and the original fraudulent email. Additionally, if you believe you have been a victim of fraud, please notify your local authorities and take steps to protect yourself.

On 15 October 2019, the European Insurance and Occupational Pensions Authority (EIOPA) published a consultation paper seeking input on its opinion setting out technical advice for the 2020 review of the Solvency II framework, which had been requested by the European Commission (EC). EIOPA opines that whilst Solvency II works well overall, evolutionary improvements can be made in several areas, including long-term guarantees, macro-prudential issues, and technical framework improvements. Most importantly from an investment perspective, this last areas covers considerations and proposals for the calibration of market risks under the Solvency Capital Requirement (SCR) standard formula. This paper focuses on this aspect of the consultation, and it summarizes EIOPA’s key considerations for potential improvements of the market risk SCR module affecting all investments of an insurance company.

With regard to equities, EIOPA was asked by the EC to conduct a comprehensive review of the equity risk sub-module, and in particular to assess the appropriateness of the design and calibration of the risk charges for all equity investments that are subject to a reduced capital charge of 22%. This includes duration-based equity investments but also strategic equity investments and long-term equity investments for which EIOPA has not yet provided any calibration. Figure 1 summarizes the equity risk charges adopted by the EC and those charges initially advised by EIOPA or its predecessor institution CEIOPS. In general, EIOPA does not see any need for re-calibration of those capital charges for which they already have provided a calibration. Hence, suggested changes in the consultation paper relate to long-term equity investments and strategic equity investments.

Click here to read the complete article 

font

This information is subject to change at any time, based upon economic, market and other considerations and should not be construed as a recommendation. Past performance is not indicative of future returns. Forecasts are based on assumptions, estimates, opinions and hypothetical models that may prove to be incorrect.

DWS Investment GmbH as of 11/11/2019
CRC 071781 (11/2019)

CIO View