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EXPERIENCE
VOLUME 19, NUMBER 1                                                                                                              2009




SENIOR LAWYERS DIVISION                                                           AMERICAN BAR ASSOCIATION



     Captive Insurance Companies
     (for Closely Led Businesses and Their Owners)

     Captive insurance companies have been growing by leaps and bounds. A captive is an insurance company that
     insures the risks of its parent company. It is owned by a parent or, at times, by the shareholders of the parent
     company. The operating entity insures all or part of its risks with its captive company. The captive may reinsure
     some or all of such risks, or may retain such risks. The benefits of a captive may be many, but the primary goal is
     to retain the profit that would have been made by an outside third-party insurance company or to provide coverage
     where coverage would not be available.

     There are many different types of captives depending on the needs of the parent company or its owners are,
     including Single Parent Captives, Association Captives, Group Captives, Agency Captives, and even Rent-a-
     Captive, among others.

     Captives, like all insurance companies, have specific tax rules that allow them special benefits not available to other
     companies. An insurance company receives premiums, pays it expenses, and then invests the money it has
     retained, known as reserves, to pay for future claims. An insurance company receives an income tax deduction for
     almost all of its funds deemed reserves, and can invest and accumulate these funds. A regular corporation pays
     income tax on the funds it retains as profits. Yet, as the business of insurance requires the payment of
     future claims, the accumulation of funds is a necessity for being able to pay such claims.

     The amount of reserves that a company can accumulate is determined by an actuarial calculation of the nature and
     amount of risks it covers, combined with the insurance rules as to the types of allowable investments for company
     reserves. There are restrictions upon what types of investments and what percentage of assets per investment may
     be made. The jurisdiction or state of the insurance company’s license will also have an effect on its operations
     and retentions.

     A company owning a captive normally receives an income tax deduction for the payments it makes to such captive
     as an ordinary and necessary business expense within IRC §162. The captive receives such funds, pays its
     operating expenses and then deducts the allowable amounts of reserves it invests. If a claim is made the reserves
     are used to pay such claims.

     A captive insurance company may provide an opportunity for a company that either self insures certain risks to
     have a current income tax deduction for payments to another entity it owns, or its shareholders own, that will
     provide the future funds for what would otherwise have been a non-deductible current assumption of risk. Instead,
     the income tax deduction is accelerated for the operating company and funds are provided for it by the captive
     company should the risks transpire. If the risk is true third-party risk, then the requirements of risk shifting and risk
     distribution would normally be present and such coverage would be deemed insurance.
Not generally known to most business owners is an opportunity in the Internal Revenue Code to not only deduct
payments made to a captive, but to also not require the captive to pay any income tax.

The two IRC sections at issue are IRC §501(c)(15) and IRC §831(b).

IRC §501(c)(15) allows a very small property and casualty insurance company to not pay any income tax on the
receipt of premium income, and from its investment income, if the total amount of funds received during a year are
$600,000 or less and greater than 50 percent of the income received was from premium income.

IRC §831(b) provides an expansion of the amount of annual premiums received which are non taxable to
$1,200,000 but provides the company would pay an income tax on its taxable investment income.

For the closely-held business owner, these sections provide an opportunity to expand the closely held company's
ability to save funds and retain profitability by owning a captive or a portion of a group captive.

An example of this is with a recent client who self-funded catastrophic medical, as well as disability coverage, for
their employees. The client was attempting to accumulate cash within the company to pay out in the event of an
employee's disability or medical expense exceeding their policy limits. As the company was self-funding for these
risks, it was in essence self insuring such risks. Self-insurance is unfortunately non-deductible.

The problem the company had was that all income was taxed at the maximum federal corporate income tax rate
of 39 percent. All accumulations of income were taxed at the maximum federal corporate income tax rate of 39
percent. As such, they had a difficult time accumulating sufficient funds. The solution was to set up a captive insur-
ance company, owned by the corporate shareholders. The insurance company provided the insurance coverage
versus self-assumption of risk. This also provided the operating company with a tax deduction for the premiums
paid to shareholder's company. The captive insurance company by virtue of receiving less than $1,200,000 of
annual premiums did not have to pay any federal income tax. The insurance company then invested its reserves
in tax-free investments, so that no income tax would be due on the insurance company's investment income.

As such, captive can provide an opportunity for a company or its owners to retain profits that might otherwise be
earned by a third-party insurance company. Not all risks would be appropriate for a captive to assume, but an
actuary familiar with the operation of a captive would be able to assist with a feasibility study to determine if the
captive was appropriate for the circumstances at issue. In many cases, the captive provides the opportunity for a
current deduction, and, if such captive is profitable, a way to also increase the shareholders net worth by the insur-
ance company increasing in value. The shareholders net worth is further increased by the annual income tax reduc-
tion by virtue of the premium payments being deductible, versus self-insurance.

It is recommended that you work with a tax lawyer and a team that is familiar with the structure and operation of
captives, since this is an area that is technically complex and combines not only income tax, but insurance law, as
well and contains many landmines for the unwary.

Captives can be used for malpractice coverage and almost any property and casualty risk, even if commercial
coverage is not available to protect against such risk. Captives properly thought out and funded can be a big win
for the business owner.

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Aba On Captives[1]

  • 1. EXPERIENCE VOLUME 19, NUMBER 1 2009 SENIOR LAWYERS DIVISION AMERICAN BAR ASSOCIATION Captive Insurance Companies (for Closely Led Businesses and Their Owners) Captive insurance companies have been growing by leaps and bounds. A captive is an insurance company that insures the risks of its parent company. It is owned by a parent or, at times, by the shareholders of the parent company. The operating entity insures all or part of its risks with its captive company. The captive may reinsure some or all of such risks, or may retain such risks. The benefits of a captive may be many, but the primary goal is to retain the profit that would have been made by an outside third-party insurance company or to provide coverage where coverage would not be available. There are many different types of captives depending on the needs of the parent company or its owners are, including Single Parent Captives, Association Captives, Group Captives, Agency Captives, and even Rent-a- Captive, among others. Captives, like all insurance companies, have specific tax rules that allow them special benefits not available to other companies. An insurance company receives premiums, pays it expenses, and then invests the money it has retained, known as reserves, to pay for future claims. An insurance company receives an income tax deduction for almost all of its funds deemed reserves, and can invest and accumulate these funds. A regular corporation pays income tax on the funds it retains as profits. Yet, as the business of insurance requires the payment of future claims, the accumulation of funds is a necessity for being able to pay such claims. The amount of reserves that a company can accumulate is determined by an actuarial calculation of the nature and amount of risks it covers, combined with the insurance rules as to the types of allowable investments for company reserves. There are restrictions upon what types of investments and what percentage of assets per investment may be made. The jurisdiction or state of the insurance company’s license will also have an effect on its operations and retentions. A company owning a captive normally receives an income tax deduction for the payments it makes to such captive as an ordinary and necessary business expense within IRC §162. The captive receives such funds, pays its operating expenses and then deducts the allowable amounts of reserves it invests. If a claim is made the reserves are used to pay such claims. A captive insurance company may provide an opportunity for a company that either self insures certain risks to have a current income tax deduction for payments to another entity it owns, or its shareholders own, that will provide the future funds for what would otherwise have been a non-deductible current assumption of risk. Instead, the income tax deduction is accelerated for the operating company and funds are provided for it by the captive company should the risks transpire. If the risk is true third-party risk, then the requirements of risk shifting and risk distribution would normally be present and such coverage would be deemed insurance.
  • 2. Not generally known to most business owners is an opportunity in the Internal Revenue Code to not only deduct payments made to a captive, but to also not require the captive to pay any income tax. The two IRC sections at issue are IRC §501(c)(15) and IRC §831(b). IRC §501(c)(15) allows a very small property and casualty insurance company to not pay any income tax on the receipt of premium income, and from its investment income, if the total amount of funds received during a year are $600,000 or less and greater than 50 percent of the income received was from premium income. IRC §831(b) provides an expansion of the amount of annual premiums received which are non taxable to $1,200,000 but provides the company would pay an income tax on its taxable investment income. For the closely-held business owner, these sections provide an opportunity to expand the closely held company's ability to save funds and retain profitability by owning a captive or a portion of a group captive. An example of this is with a recent client who self-funded catastrophic medical, as well as disability coverage, for their employees. The client was attempting to accumulate cash within the company to pay out in the event of an employee's disability or medical expense exceeding their policy limits. As the company was self-funding for these risks, it was in essence self insuring such risks. Self-insurance is unfortunately non-deductible. The problem the company had was that all income was taxed at the maximum federal corporate income tax rate of 39 percent. All accumulations of income were taxed at the maximum federal corporate income tax rate of 39 percent. As such, they had a difficult time accumulating sufficient funds. The solution was to set up a captive insur- ance company, owned by the corporate shareholders. The insurance company provided the insurance coverage versus self-assumption of risk. This also provided the operating company with a tax deduction for the premiums paid to shareholder's company. The captive insurance company by virtue of receiving less than $1,200,000 of annual premiums did not have to pay any federal income tax. The insurance company then invested its reserves in tax-free investments, so that no income tax would be due on the insurance company's investment income. As such, captive can provide an opportunity for a company or its owners to retain profits that might otherwise be earned by a third-party insurance company. Not all risks would be appropriate for a captive to assume, but an actuary familiar with the operation of a captive would be able to assist with a feasibility study to determine if the captive was appropriate for the circumstances at issue. In many cases, the captive provides the opportunity for a current deduction, and, if such captive is profitable, a way to also increase the shareholders net worth by the insur- ance company increasing in value. The shareholders net worth is further increased by the annual income tax reduc- tion by virtue of the premium payments being deductible, versus self-insurance. It is recommended that you work with a tax lawyer and a team that is familiar with the structure and operation of captives, since this is an area that is technically complex and combines not only income tax, but insurance law, as well and contains many landmines for the unwary. Captives can be used for malpractice coverage and almost any property and casualty risk, even if commercial coverage is not available to protect against such risk. Captives properly thought out and funded can be a big win for the business owner.