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Sandra Starnes, Director of Property & Casualty Product Review
Florida Personal Auto Market
Presented to:
The Florida Senate Committee on Banking and Insurance
January 24, 2017
Florida Office of Insurance Regulation
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Part I
Florida Office of Insurance Regulation
Rates Trends and the Impact of HB 119
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Changes in Auto Rates
Florida Office of Insurance Regulation
*Top 25 insurers determined using 2013 Calendar Year Florida Direct Written Premium for the Personal Auto lines of business. Filing information as of January 18, 2017.
Filing Effective Date Range PIPLiability
Coverages
All
Coverages
January 1, 2011 to December 31, 2012 46.2% 21.1% 13.2%
January 1, 2013 to December 31, 2014 -14.4% -1.3% -0.7%
January 1, 2015 to Current 25.7% 23.4% 21.4%
Changes in Personal Auto Rates for Top 25 Insurers*
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Why Are Rates Increasing?
Florida Office of Insurance Regulation
Base: 1982-84 = 100Source: December 2015 and December 2016 Consumer Price Index Detailed Reports at www.bls.gov/cpi/cpi_dr.htm#2016
Category Dec-2014 Dec-2016 Change
Medical care 439.720 469.447 6.8%
Hospital and related services 743.152 805.623 8.4%
Motor vehicle body work 279.096 291.454 4.4%
Motor vehicle insurance 448.993 507.589 13.1%
Changes in Consumer Price Index for all Urban Consumers, U.S. City Average:
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More Miles Are Being Driven
Florida Office of Insurance Regulation
2,0002,0502,1002,1502,2002,2502,3002,3502,4002,4502,5002,5502,6002,6502,7002,7502,8002,8502,9002,9503,0003,0503,1003,1503,2003,2503,3003,3503,4003,4503,500
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Ve
hic
le-D
ista
nc
e T
rave
led
(B
illi
on
Mile
s)
Year
Moving 12-Month Total on ALL Roads
Source: November 2016 Report from the Office of Highway Policy Information, U.S. Department of Transportation’s Federal Highway Administration www.fhwa.dot.gov/policyinformation/travel_monitoring/tvt.cfm
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More Fatalities Are Occurring
Florida Office of Insurance Regulation
12.5 12.3 12.5
14.5
10.710.3 10.2
10.9
0.0
4.0
8.0
12.0
16.0
2012 2013 2014 2015
Motor Vehicle Crash Deaths Per 100,000 Population
Florida
Countrywide
Source: State by State Reports from the Insurance Institute for Highway Safety/Highway Loss Data Institutewww.iihs.org/iihs/topics/t/general-statistics/fatalityfacts/state-by-state-overview
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Frequency of Crashes Has Increased
Florida Office of Insurance Regulation
2.06
2.232.40
2.55
0.00
0.50
1.00
1.50
2.00
2.50
3.00
2013 2014 2015 2016 est.
Frequency of Crashes per 100 Licensed Drivers
Source: Driver Demographics Reports and Traffic Crash Reports from Florida Department of Highway Safety and Motor Vehicles (www.flhsmv.gov/html/safety.html)2016 frequency uses crashes occurring between January 1st and September 30th, reported as of January 19, 2017, and adjusted to estimate 2016 total number of crashes.
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2016 Pinnacle Analysis
Florida Office of Insurance Regulation
Based on Fast Track information comparing year ending December 31, 2012 with year ending December 31, 2014:
• Florida experienced a 20.0% reduction in total PIP loss costs• Countrywide (excl. Florida) experienced a 4.1% increase in
total PIP loss costs
The impact of HB 119, relative to what the costs would likely have been if no reform has passed, is a 23.2% reduction in total PIP costs.
Source: Pages 4-5 of the 2016 Pinnacle Report “Florida Office of Insurance Regulation: Review of Personal Injury Protection Legislation“, dated September 13, 2016.http://www.floir.com/siteDocuments/FLOIRReviewPIP20160913.pdf
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Part II
Florida Office of Insurance Regulation
Impact of Moving to a Mandatory B.I. System
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What Happens if PIP is Eliminated?
Florida Office of Insurance Regulation
• There will be cost-shifting within the auto insurance industry and outside of the industry.
• An estimated 73.8% of PIP losses would be absorbed by other coverages in an auto policy.
• The remaining 26.2% of the PIP losses would impact be shifted outside of an auto policy and borne by private health insurers, health care providers, Medicare, Medicaid, and the injured persons.
• Based on results when Colorado changed from a No-Fault system to a Tort system, there will likely be an increase in the amount of unpaid emergency medical treatment costs and reimbursement timeframes for healthcare providers may increase.
• Bodily Injury (BI), Medical Payments (MP) and Uninsured Motorist (UM) premiums would increase since some benefits currently covered under PIP would shift to BI, MP or UM.
Source: The distribution of PIP losses to how the losses would be covered under a Tort system may be found on page 6 of the 2016 Pinnacle Report “Florida Office of Insurance Regulation: Review of Personal Injury Protection Legislation“, dated September 13, 2016.http://www.floir.com/siteDocuments/FLOIRReviewPIP20160913.pdf
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Assumptions for Estimate of Impact
Florida Office of Insurance Regulation
• Of the estimated 73.8% of current PIP losses that will be absorbed by the industry.• Approximately 49.1% of the PIP losses will be now covered under BI.• Approximately 9.2% of the PIP losses will be now covered under UM.• The remaining 15.5% went to Medical Payments.
• Health care insurance is estimated to absorb 21.1% of those costs (26.2%) likely to fall outside of the auto insurance industry with estimates for injured persons at 3.7% and providers at 1.5%.
• While the potential for fraud will likely be reduced by the switch to a mandatory BI system, some of the savings will likely be mitigated because:• The elimination of the tort threshold will allow all claims to potentially be
eligible for non-economic damages such as pain & suffering, and• There may be increased litigation.
Source: The distribution of PIP losses to how the losses would be covered under a Tort system may be found on page 6 of the 2016 Pinnacle Report “Florida Office of Insurance Regulation: Review of Personal Injury Protection Legislation“, dated September 13, 2016.http://www.floir.com/siteDocuments/FLOIRReviewPIP20160913.pdf
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Impact of the Repeal of No-Fault
Florida Office of Insurance Regulation
Estimated Statewide Average Change: Impact on
All Major Coverages
Without Purchasing Med Pay -9.60% -6.70%
Optional $2,500 Med Pay -4.90% -3.40%
Optional $5,000 Med Pay -1.00% -0.70%
ScenarioImpact on Liability
Coverages
Source: Page 59 of the 2016 Pinnacle Report “Florida Office of Insurance Regulation: Review of Personal Injury Protection Legislation“, dated September 13, 2016.http://www.floir.com/siteDocuments/FLOIRReviewPIP20160913.pdf
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Methodology for Estimating Premium Impacts
Florida Office of Insurance Regulation
• A rating examples from recent rate filings for five large auto insurers were reviewed to estimate the impact of the elimination of PIP.
• Three of the insurers represent the non-standard market, while the other two represent the standard, or preferred, market.
• To reflect the elimination of PIP• 49.1% of the PIP premium was moved to BI• 15.5% of the PIP premium was moved to MP• 9.2% of the PIP premium was moved to UM
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Summary of Premium Impacts
Florida Office of Insurance Regulation
When changing from a policy with the current minimum required limits ($10,000 Property Damage and $10,000 PIP) to a policy under a Tort system with PIP eliminated and limits of 10/20/10:
• Non-standard insurers experienced significant decreases across almost all regions studied, while the standard/preferred insurers had decreases in regions where PIP fraud was prevalent.
• If Full Coverage policies (containing BI, PD, PIP, UM, MP, COMP and COLL) were purchased, all insurers (across all regions studied) experienced decreases in premium.
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Estimated Impact by Region
Florida Office of Insurance Regulation
Central Miami: Married Couple – Both Age 40
Source: Premium shown is annual premium from Rate Collection System information for recent personal auto rate filing. Limits shown as A/B/C/D where the BI limit per person is $A, BI limit per occurrence is $B, PD limit is $C and MP limit (if applicable) is $D.* - Includes adjustment to reflect elimination of PIP
BI/PD* Tort *
10/20/10 System
Non-Standard Company A $1,810.21 $1,348.72 -25% $3,252.07 $2,852.02 -12%
Non-Standard Company B $3,108.25 $2,062.40 -34% $5,934.25 $5,191.87 -13%
Stand./Pref. Company C $1,312.80 $1,084.72 -17% $3,304.62 $3,043.36 -8%
Stand./Pref. Company D $1,334.90 $1,127.33 -16% $3,257.13 $3,006.12 -8%
Stand./Pref. Company E $1,118.81 $1,027.12 -8% $2,478.69 $2,236.23 -10%
PIP/PD Change No-Fault Change
Minimum
Required Limits
Full Coverage Policies
(10/20/10/1)
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Estimated Impact by Region
Florida Office of Insurance Regulation
Tallahassee: Married Couple – Both Age 40
Source: Premium shown is annual premium from Rate Collection System information for recent personal auto rate filing. Limits shown as A/B/C/D where the BI limit per person is $A, BI limit per occurrence is $B, PD limit is $C and MP limit (if applicable) is $D.* - Includes adjustment to reflect elimination of PIP
BI/PD* Tort *
10/20/10 System
Non-Standard Company A $476.10 $488.90 3% $1,462.74 $1,384.99 -5%
Non-Standard Company B $876.00 $759.92 -13% $2,466.00 $2,293.81 -7%
Stand./Pref. Company C $633.30 $633.70 0% $2,076.51 $1,979.90 -5%
Stand./Pref. Company D $652.92 $669.53 3% $1,990.59 $1,898.13 -5%
Stand./Pref. Company E $259.44 $436.90 68% $1,163.10 $1,128.16 -3%
Minimum Required Limits
Full Coverage Policies
(10/20/10/1)
PIP/PD Change No-Fault Change
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Sandra Starnes, Director of Property & Casualty Product Review
Florida Office of Insurance Regulation
Questions?