Consumer Wordings Guidance v4.1
The latest version of the Joint LMA/Clyde & Co Guidance on Consumer Wordings is available to download from the LMA website, and contains a Document Revision/Change History page to identify the key amendments/updates.
Consumer Wordings Guidance v.4.1
The updated guidance includes:
- Updated section on Data Protection in respect of the General Data Protection Regulation (GDPR) which was transposed into UK legislation on 25 May 2018.
- Other Documentation - updated in respect of Insurance Product Information Documents (IPIDs) replacing Key Facts for consumers (following FCA Policy Statements 17-21 and 17-27 in December 2017) and refers to the new IDD application date of 01 October 2018.
- Update to Appendix 14 in respect of the new IDD application date of 01 October 2018.
- Addition of Appendix 15 entitled “General Data Protection Regulation (GDPR)”.
At the time of its initial publication (version 1.0, 27 April 2015), we advised that the guidance would undergo a periodic review process by the LMA and, therefore, remain subject to amendment/update when required (e.g. due to change/update in relevant legislation/regulation etc.). The LMA re-published the guidance on 27 July 2015 (v1.1) following the publication of the LMA’s Guidance on the Insurance Act 2015, again on 13 January 2016 (v2.0) following implementation of the Consumer Rights Act 2015 and also on 30 November 2016 (v2.1) to provide guidance regarding the Enterprise Act 2016 and the Third Party (Rights Against Insurers) Act 2010. It was then republished on 19 April 2017 (v3.0) with updates including FCA rules on "renewal transparency" and again on 14 February 2018 (v4.0) to include updates on the General Data Protection Regulation (GDPR) and the Insurance Distribution Directive (IDD).
The document is published as general guidance, intended to assist managing agents with the practicalities of drafting new consumer products and/or adapting existing commercial wordings to produce consumer versions. Whilst not an exhaustive list of all the issues to consider, the guidance identifies the key features of, and salient clauses within, a policy document/wording that need to be addressed for a consumer policy to meet current regulatory requirements and identifies, where appropriate, the applicable underlying regulation. Example clauses are also provided, where applicable. Any queries on the guidance may be addressed to:
:
Alison Colver
Head of Wordings
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