A. Best interest obligations. An agent, when
making a recommendation of an annuity, shall act in the best interest of the
consumer under the circumstances known at the time the recommendation is made,
without placing the agent's or the insurer's financial interest ahead of the
consumer's interest. An agent has acted in the best interest of the consumer if
the agent has satisfied the following obligations regarding care, disclosure,
conflict of interest, and documentation:
1.
Care Obligation.
a. The agent, in making a
recommendation shall exercise reasonable diligence, care, and skill to:
(1) Know the consumer's financial situation,
insurance needs, and financial objectives;
(2) Understand the available recommendation
options after making a reasonable inquiry into options available to the
agent;
(3) Have a reasonable basis
to believe the recommended option effectively addresses the consumer's
financial situation, insurance needs, and financial objectives over the life of
the product, as evaluated in light of the consumer profile information;
and
(4) Communicate the basis of
the recommendation.
b.
The requirements under subdivision 1 a of this subsection include making
reasonable efforts to obtain consumer profile information from the consumer
prior to the recommendation of an annuity.
c. The requirements under subdivision 1 a of
this subsection require an agent to consider the types of products the agent is
authorized and licensed to recommend or sell that address the consumer's
financial situation, insurance needs, and financial objectives. This does not
require analysis or consideration of any products outside the authority and
license of the agent or other possible alternative products or strategies
available in the market at the time of the recommendation. Agents shall be held
to standards applicable to agents with similar authority and
licensure.
d. The requirements
under this subdivision 1 of this subsection do not create a fiduciary
obligation or relationship.
e. The
consumer profile information, characteristics of the insurer, and product
costs, rates, benefits, and features are those factors generally relevant in
making a determination whether an annuity effectively addresses the consumer's
financial situation, insurance needs, and financial objectives, but the level
of importance of each factor under the care obligation of this subdivision 1
may vary depending on the facts and circumstances of a particular case.
However, each factor may not be considered in isolation.
f. The requirements under subdivision 1 a of
this subsection include having a reasonable basis to believe the consumer would
benefit from certain features of the annuity, such as annuitization, death or
living benefit, or other insurance-related features.
g. The requirements under subdivision 1 a of
this subsection apply to the particular annuity as a whole and the underlying
subaccounts to which funds are allocated at the time of purchase or exchange of
an annuity, and riders and similar agent enhancements, if any.
h. The requirements under subdivision 1 a of
this subsection do not mean the annuity with the lowest one-time or multiple
occurrence compensation structure shall necessarily be recommended.
i. The requirements under subdivision 1 a of
this subsection do not mean the agent has ongoing monitoring obligations under
the care obligation under subdivision 1 a of this subsection, although such an
obligation may be separately owed under the terms of a fiduciary, consulting,
investment advising, or financial planning agreement between the consumer and
the agent.
j. In the case of an
exchange or replacement of an annuity, the agent shall consider the whole
transaction, which includes taking into consideration whether:
(1) The consumer will incur a surrender
charge, be subject to the commencement of a new surrender period, lose existing
benefits, such as death, living, or other contractual benefits, or be subject
to increased fees, investment advisory fees, or charges for riders and similar
product enhancements;
(2) The
replacing product would substantially benefit the consumer in comparison to the
replaced product over the life of the product; and
(3) The consumer has had another annuity
exchange or replacement and, in particular, an exchange or replacement within
the preceding 60 months.
k. Nothing in this chapter should be
construed to require an agent to obtain any license other than an agent license
with the appropriate line of authority to sell, solicit, or negotiate insurance
in this Commonwealth, including any securities license, in order to fulfill the
duties and obligations contained in this chapter; provided the agent does not
give advice or provide services that are otherwise subject to securities laws
or engage in any other activity requiring other professional
licenses.
2. Disclosure
obligation.
a. Prior to the recommendation or
sale of an annuity, the agent shall prominently disclose to the consumer on the
commission's Insurance Agent (Producer) Disclosure for Annuities form:
(1) A description of the scope and terms of
the relationship with the consumer and the role of the agent in the
transaction;
(2) An affirmative
statement on whether the agent is licensed and authorized to sell the following
products:
(a) Fixed annuities;
(b) Fixed indexed annuities;
(c) Variable annuities;
(d) Life insurance;
(e) Mutual funds;
(f) Any securities as defined in the Virginia
Securities Act; and
(g)
Certificates of deposit;
(3) An affirmative statement describing the
insurers the agent is authorized, contracted (or appointed), or otherwise able
to sell insurance products for, using the following descriptions:
(a) From one insurer;
(b) From two or more insurers; or
(c) From two or more insurers although
primarily contracted with one insurer;
(4) A description of the sources and types of
cash compensation and non-cash compensation to be received by the agent,
including whether the agent is to be compensated for the sale of a recommended
annuity by commission as part of premium or other remuneration received from
the insurer, intermediary, or other agent or by fee as a result of a contract
for advice or consulting services; and
(5) A notice of the consumer's right to
request additional information regarding cash compensation described in
subdivision 2 b of this subsection;
b. Upon request of the consumer or the
consumer's designated representative, the agent shall disclose:
(1) A reasonable estimate of the amount of
cash compensation to be received by the agent, which may be stated as a range
of amounts or percentages; and
(2)
Whether the cash compensation is a one-time or multiple occurrence amount, and
if a multiple occurrence amount, the frequency and amount of the occurrence,
which may be stated as a range of amounts or percentages; and
c. Prior to or at the time of the
recommendation or sale of an annuity, the agent shall have a reasonable basis
to believe the consumer has been informed of various features of the annuity,
such as the potential surrender period and surrender charge; potential tax
penalty if the consumer sells, exchanges, surrenders, or annuitizes the
annuity; mortality and expense fees; investment advisory fees; any annual fees;
potential charges for and features of riders of other options of the annuity;
limitations on interest returns; potential changes in nonguaranteed elements of
the annuity; insurance and investment components; and market risk.
3. Conflict of interest
obligation. An agent shall identify and avoid or reasonably manage and disclose
material conflicts of interest, including material conflicts of interest
related to an ownership interest.
4. Documentation obligation. An agent shall
at the time of recommendation or sale:
a. Make
a written record of any recommendation and the basis for the recommendation
subject to this chapter;
b. Obtain
a consumer signed statement on the commission's Consumer Refusal to Provide
Information form documenting:
(1) A customer's
refusal to provide the consumer profile information, if any; and
(2) A customer's understanding of the
ramifications of not providing their consumer profile information or providing
insufficient consumer profile information; and
c. Obtain a consumer signed statement on the
commission's Consumer Decision to Purchase an Annuity Not Based on a
Recommendation form acknowledging the annuity transaction is not recommended if
a customer decides to enter into an annuity transaction that is not based on
the agent's recommendation.
5. Application of the best interest
obligation. Any requirement applicable to an agent under this subsection shall
apply to every agent who has exercised material control or influence in the
making of a recommendation and has received direct compensation as a result of
the recommendation or sale, regardless of whether the agent has had any direct
contact with the consumer. Activities such as providing or delivering marketing
or educational materials, product wholesaling or other back office product
support, and general supervision of an agent do not, in and of themselves,
constitute material control or influence.