NOTE: As provided in LFC policy, this report is
intended only for use by the standing finance committees of the
legislature. The Legislative Finance Committee does not assume
responsibility for the accuracy of the information in this report when used for
other purposes.
The most recent FIR
version (in HTML & Adobe PDF formats) is available on the Legislative
Website. The Adobe PDF version includes
all attachments, whereas the HTML version does not. Previously issued FIRs and attachments may be
obtained from the LFC in
SPONSOR: |
Stewart |
DATE TYPED: |
|
HB |
598 |
||
SHORT TITLE: |
Prohibit Certain Actions by Insurers |
SB |
|
||||
|
ANALYST: |
Maloy |
|||||
APPROPRIATION
Appropriation
Contained |
Estimated
Additional Impact |
Recurring or
Non-Rec |
Fund Affected |
||
FY03 |
FY04 |
FY03 |
FY04 |
|
|
|
NFI |
|
NFI |
|
|
|
|
|
|
|
|
Relationship to SB 325, which regulates credit
scoring rather than prohibiting it.
Responses
Received From
Office
of the Attorney General
Public
Regulatory Commission
SUMMARY
Synopsis of Bill
This
bill prohibits insurers from either canceling or raising premiums on automobile
policies due to unsatisfactory credit reports.
1.
A credit score is the interpretation of
credit reports and/or histories and other data about an individual using a
predictive scoring model or formula known as an algorithm. Insurance companies use credit scores in
underwriting personal lines of insurance and in determining the rating tier for
individual applicants. Credit scores are
one of the factors that assist an insurance company in determining whether to
provide or renew coverage to an applicant and in deciding what premium an applicant
should pay.
2.
HB 598 proposes to enact a law similar to
those adopted by other states.
Twenty-three states have legislation pending or have passed legislation
that addresses the use of credit scoring in underwriting. A sampling of the existing statutes and
regulations nationwide shows that most of the existing state laws focus on
regulating the use of credit reports / histories, not credit scores, and that
there is no overriding uniform approach being taken by states to regulate
credit scoring.
However, most of the legislation limits companies from canceling, denying or non-renewing insurance based in whole or in part on credit rating or history.
·
See for Examples,
IDAHO § 41-1843 and Idaho Insurance Code § 18.01.19 (prohibits an insurer from
charging a higher premium or canceling a policy based primarily on an
individual’s credit rating or credit history); ILLINOIS § 5/155.38 (Insurer may
not refuse to issue or renew insurance solely on basis of credit report);
MINNESOTA § 72A.20 (Subd. 36. Limitations on the
use of credit information. No
insurer(s) may reject, cancel, or non-renew personal lines of insurance for any
person in whole or in part on the basis of credit information, including a
credit report without considering other applicable underwriting factors); MARYLAND § 27-501(e)(2)(i) and (3)(i)(prohibits an
insurer from refusing to underwrite auto or homeowner’s insurance solely on the
basis of credit history); MISSOURI §
375.918 (insurer shall not take adverse action based solely on credit report or
insurance credit score); MONTANA § 333-18-210 (prohibit an insurer from denying
coverage solely on the basis of an applicant’s credit report and/or credit
score); KENTUCKY § 304.20-040 and 042 (No insurer shall decline, refuse to
renew, or cancel insurance due to credit history); RHODE ISLAND § 27-6-53
(Insurer cannot cancel, nonrenew or increase premium
rate solely on credit history); WASHINGTON § 48.18.545(places underwriting
restrictions that apply to personal insurance, prohibits specific factors from
being considered such as, number of credit inquiries and credit histories).
3.
Proponents of the use of credit scores
contend that the use of credit scores is beneficial to consumers in the
marketplace. The insurance industry
views credit scores as an objective and efficient way to provide consistent,
accurate and more complete underwriting and pricing. Insurance companies contend that credit
scores provide a fair pricing structure by matching rates with the risk of
loss. Since most customers have good
credit, insurance companies assert that they are able to offer the majority of
policyholders lower premiums.
4.
Critics of the use of credit scores
assert that the use of credit scores disproportionately discriminate against
poor and minority consumers, who have little or no credit history, by placing
them in higher rating tiers and requiring them to pay higher rates. Critics further contend that these same
consumers are also forced to pay their entire premium in one payment since
their credit scores do not allow them to qualify for installment payments. Insurance companies also are criticized for
setting credit score ranges determining the premiums that consumer have to
pay. The ranges of acceptable credit
scores can be increased or decreased, depending on whether the insurance company
wants to increase or decrease the amount of policies it issues. Thus, an insured can maintain the same credit
score over a number of years, but still receive a premium increase or
non-renewal notice because of the insurance company’s business decision.
According to the PRC’s
Insurance Division:
5.
This is a complex and
highly charged actuarial issue, which has been studied in detail by the
Insurance Superintendent’s Credit Scoring Task Force, as well as by most parties
in
6.
There is an undeniable correlation between insurance
credit score and personal auto and homeowners claim costs. Although the causes of this correlation are
subject to speculation, insurers are nonetheless permitted by actuarial
principles to include insurance credit score as a rating element, just as they
are with age, gender and other rating factors with known predictive value. Furthermore, the federal Fair Credit
Reporting Act explicitly allows insurers to use credit report information in underwriting
and rating.
7.
However, perceived abuses have arisen in its
application, and many states believe they have the authority to curb these
abuses through legislation and/or regulation.
Such perceived abuses include:
·
Canceling, non-renewing or otherwise denying
coverage to customers solely because of an adverse credit score;
·
Penalizing customers and applicants who do not have
a credit history;
·
Making no exceptions for the credit-damaging
effects of job layoffs, catastrophic illnesses and other extraordinary life
events;
·
Failing to recalculate credit scores after errors
in the underlying credit reports are corrected;
·
Overstating the appropriate amount of premium
increases or decreases justified by credit scores.
8.
Furthermore, there is concern that certain
demographic groups in New Mexico (such as the poor and the young) may have
worse credit scores, which may produce “unfairly discriminatory” high rates and
would act to increase the number of uninsured drivers. The Insurance Division has commissioned the
9.
This bill will have a major impact on the
personal auto and homeowners insurance marketplace in
10.
Most
insurers would have to refile their rating plans with
the Insurance Division, removing the credit-scoring element.
FISCAL IMPLICATIONS
Legal defense costs are likely to be incurred to
defend the state when sued by the insurance industry.
TECHNICAL ISSUES
1.
Terms should likely be defined.
2. As currently written,
the bill applies to commercial auto policies (where insurance credit scoring is
not used). Is this an intended affect?
ALTERNATIVES
Regulate, instead of prohibit, the use of credit
scoring in rating personal auto and homeowners insurance. See SB 325 for an example. Also, such regulation can include requiring
insurers to:
·
File
and obtain the Insurance Division’s review and approval of all credit-scoring
models, rating factors, and underwriting guidelines prior to their use;
·
Treat
customers who have little or no credit history as if they had an average or
above-average credit score;
·
Disclose
to all policyholders the use of their credit information as well as the key elements
of their credit history that have affected their credit score;
·
Recalculate
credit scores when errors in the underlying credit reports are corrected.
SJM/prr/njw