The document is a government response to recommendations from the Work and Pensions Committee regarding the use of Liability Driven Investments (LDI) by defined benefit pension schemes.
The response provides updates on actions taken to address each recommendation, which include the Department for Work and Pensions publishing a response to its consultation on pension scheme consolidation, collecting additional data from schemes and regulators on LDI usage and resilience, and plans for the Pensions Regulator to improve its digital capabilities and oversight of LDI governance.
The Impact of the Financial Crisis on Public Private Partnerships
Filip Drapak, Senior PPP Specialist, World Bank
Public Private Partnerships have been an innovative technique to fund large government projects. How the financial crisis has changed this approach will be the subject of this discussion.
Our report models the future progress of the Australian superannuation industry over the next 20 years to 2035, the report projects a $9.5 trillion system – having grown growing from $1.6 trillion at 30 June 2013 to $2 trillion as at 30 June 2015, and doubling to $4 trillion by in 2025.
Building good relations between IFIs & Finance ministries - Richard Hughes, H...OECD Governance
This presentation was made by Richard Hughes, HM Treasury, United Kingdom, at the 11th Meeting of OECD PBO & IFIs held in Lisbon, Portugal, on 4-5 February 2019
The Recommendation on Financial Literacy was adopted by the OECD Council on 29 October 2020, during the OECD Ministerial Council Meeting. It presents a single, comprehensive, instrument on financial literacy to assist governments, other public authorities, and relevant stakeholders in their efforts to design, implement and evaluate financial literacy policies. It is part of a holistic approach to financial-consumer issues, where financial literacy, together with improved financial access, adequate consumer protection, and regulatory frameworks, are expected to support financial resilience and well-being. Find out more about OECD work on financial literacy at www.oecd.org/financial/education
The Impact of the Financial Crisis on Public Private Partnerships
Filip Drapak, Senior PPP Specialist, World Bank
Public Private Partnerships have been an innovative technique to fund large government projects. How the financial crisis has changed this approach will be the subject of this discussion.
This presentation was made by Ratanak Hav, Cambodia, at the 14th OECD-Asian Senior Budget Officials Meeting held in Bangkok, Thailand, on 13-14 December 2018
Euro shorts 16.10.15 including Bloomberg's Hedge Fund Start Up Breakfast and ...Cummings
Welcome to Legal Shorts, a short briefing on some of the week’s developments in the financial services industry.
Listen to this week's Legal Shorts on CLTV by going to http://vimeo.com/cummingslaw
If you would like to discuss any of the points we raise below, please contact me or one of our other lawyers.
The Insurance Reporting Challenge: Building an Integrated FrameworkAccenture Insurance
The reporting component of Solvency II has become a major concern for insurance companies operating in Europe. Solvency II Pillar III increases reporting requirements in terms of volume, frequency, timeliness and complexity. These, in turn, have a direct bearing on insurers’ data, processes, methodologies and organization. The pressure put on insurers to enhance their reporting calls for a revamped closing and reporting framework where integration is part of the approach. Beyond the new Solvency II requirements, reporting, in our view, remains a pressing issue at the global level.
Pension de-risking helps corporate sponsors and trustees remove or reduce the risk of additional financial costs associated with running DB pension schemes.
CONGRESS OF THE UNITED STATESCONGRESSIONAL BUDGET OFFICEAlleneMcclendon878
CONGRESS OF THE UNITED STATES
CONGRESSIONAL BUDGET OFFICE
CBO
Social Security
Policy Options
JULY 2010
Pub. No. 4140
A
S T U D Y
CBO
Social Security Policy Options
July 2010
The Congress of the United States O Congressional Budget Office
CBO
Notes
Unless otherwise noted, all years are calendar years.
Numbers in the text and tables may not add up to totals because of rounding.
Preface
Social Security is the federal government’s largest single program, and as the
U.S. population grows older in the coming decades, its cost is projected to increase more
rapidly than its revenues. As a result, under current law, resources dedicated to the program
will become insufficient to pay full benefits in 2039, the Congressional Budget Office (CBO)
projects. Long-run sustainability for the program could be attained through various
combinations of raising taxes and cutting benefits; such changes would also affect the
Social Security taxes paid and the benefits received by various groups of people. This CBO
study examines a variety of approaches to changing Social Security, updating an earlier work,
Menu of Social Security Options, which CBO published in May 2005. In keeping with CBO’s
mandate to provide objective, impartial analysis, the current study makes no
recommendations.
The study was written by Noah Meyerson, Charles Pineles-Mark, and Michael Simpson of
CBO’s Health and Human Resources Division, under the direction of Joyce Manchester and
Bruce Vavrichek. Research assistance was provided by Philip Armour, Sarah Axeen, and
L. Daniel Muldoon. James Baumgardner, Sheila Dacey, Benjamin Page, David Rafferty,
Jonathan Schwabish, and Julie Topoleski provided helpful comments on earlier drafts.
Andrew Biggs of the American Enterprise Institute and Paul Van de Water of the Center for
Budget and Policy Priorities also provided useful comments. (The assistance of external
reviewers implies no responsibility for the final product, which rests solely with CBO.)
Kate Kelly edited the manuscript, and Leah Mazade and Sherry Snyder proofread it.
Maureen Costantino took the cover photograph and designed the cover, and Jeanine Rees
prepared the study for publication. Jonathan Schwabish provided help with graphics.
Monte Ruffin produced the initial printed copies, Linda Schimmel coordinated the print
distribution, and Simone Thomas prepared the electronic version for CBO’s Web site
(www.cbo.gov).
Douglas W. Elmendorf
Director
July 2010
CBO
www.cbo.gov
http://www.cbo.gov/doc.cfm?index=6377
MaureenC
Doug Elmendorf
Contents
Summary ix
Introduction 1
An Overview of Social Security 1
Social Security Projections 4
Assessing Options for Changing Social Security 7
Key Elements of Social Security 8
Scope of the Options 9
Effects of the Options on the System’s Finances 11
Effects of the Options on Payroll Taxes Paid and Benefits Received by
Various Groups 13
Effects of the Options on Work and Saving 15
Options That Wo ...
Here is a short summary of what Solvency II is and how it’ll impact financial services institutions in the US (most of which are deemed to have fully or partly equivalent rules) along with EU.
The Solvency II Directive, along with the Omnibus II Directive that amended it became a law on March 31, 2015. On April 1, 2015 the approval processes began, and after years of delay and negotiations, the Europe-wide capital regime for insurance companies came into effect on January 1, 2016. Insurers will have to comply with new rules and capital requirements of Solvency II across the EU.
Here is a short summary of what Solvency II is and how it’ll impact financial services institutions in the US (most of which are deemed to have fully or partly equivalent rules) along with EU.
Living Longer, Living Better: Reform Report #2 - GT review AustraliaGrant Thornton
This is our second report in response to the Government's Living Longer, Living Better package.
In this document, we discuss the implications of, and industry reaction to, the initiatives recently announced by the Government as more detail of their response to the Productivity Commission's report emerges.
This year’s guide has a particular focus on the United Kingdom, and featured topics include automatic enrolment, pension flexibility and the rise of defined contribution pensions.
The Impact of the Financial Crisis on Public Private Partnerships
Filip Drapak, Senior PPP Specialist, World Bank
Public Private Partnerships have been an innovative technique to fund large government projects. How the financial crisis has changed this approach will be the subject of this discussion.
Our report models the future progress of the Australian superannuation industry over the next 20 years to 2035, the report projects a $9.5 trillion system – having grown growing from $1.6 trillion at 30 June 2013 to $2 trillion as at 30 June 2015, and doubling to $4 trillion by in 2025.
Building good relations between IFIs & Finance ministries - Richard Hughes, H...OECD Governance
This presentation was made by Richard Hughes, HM Treasury, United Kingdom, at the 11th Meeting of OECD PBO & IFIs held in Lisbon, Portugal, on 4-5 February 2019
The Recommendation on Financial Literacy was adopted by the OECD Council on 29 October 2020, during the OECD Ministerial Council Meeting. It presents a single, comprehensive, instrument on financial literacy to assist governments, other public authorities, and relevant stakeholders in their efforts to design, implement and evaluate financial literacy policies. It is part of a holistic approach to financial-consumer issues, where financial literacy, together with improved financial access, adequate consumer protection, and regulatory frameworks, are expected to support financial resilience and well-being. Find out more about OECD work on financial literacy at www.oecd.org/financial/education
The Impact of the Financial Crisis on Public Private Partnerships
Filip Drapak, Senior PPP Specialist, World Bank
Public Private Partnerships have been an innovative technique to fund large government projects. How the financial crisis has changed this approach will be the subject of this discussion.
This presentation was made by Ratanak Hav, Cambodia, at the 14th OECD-Asian Senior Budget Officials Meeting held in Bangkok, Thailand, on 13-14 December 2018
Euro shorts 16.10.15 including Bloomberg's Hedge Fund Start Up Breakfast and ...Cummings
Welcome to Legal Shorts, a short briefing on some of the week’s developments in the financial services industry.
Listen to this week's Legal Shorts on CLTV by going to http://vimeo.com/cummingslaw
If you would like to discuss any of the points we raise below, please contact me or one of our other lawyers.
The Insurance Reporting Challenge: Building an Integrated FrameworkAccenture Insurance
The reporting component of Solvency II has become a major concern for insurance companies operating in Europe. Solvency II Pillar III increases reporting requirements in terms of volume, frequency, timeliness and complexity. These, in turn, have a direct bearing on insurers’ data, processes, methodologies and organization. The pressure put on insurers to enhance their reporting calls for a revamped closing and reporting framework where integration is part of the approach. Beyond the new Solvency II requirements, reporting, in our view, remains a pressing issue at the global level.
Pension de-risking helps corporate sponsors and trustees remove or reduce the risk of additional financial costs associated with running DB pension schemes.
CONGRESS OF THE UNITED STATESCONGRESSIONAL BUDGET OFFICEAlleneMcclendon878
CONGRESS OF THE UNITED STATES
CONGRESSIONAL BUDGET OFFICE
CBO
Social Security
Policy Options
JULY 2010
Pub. No. 4140
A
S T U D Y
CBO
Social Security Policy Options
July 2010
The Congress of the United States O Congressional Budget Office
CBO
Notes
Unless otherwise noted, all years are calendar years.
Numbers in the text and tables may not add up to totals because of rounding.
Preface
Social Security is the federal government’s largest single program, and as the
U.S. population grows older in the coming decades, its cost is projected to increase more
rapidly than its revenues. As a result, under current law, resources dedicated to the program
will become insufficient to pay full benefits in 2039, the Congressional Budget Office (CBO)
projects. Long-run sustainability for the program could be attained through various
combinations of raising taxes and cutting benefits; such changes would also affect the
Social Security taxes paid and the benefits received by various groups of people. This CBO
study examines a variety of approaches to changing Social Security, updating an earlier work,
Menu of Social Security Options, which CBO published in May 2005. In keeping with CBO’s
mandate to provide objective, impartial analysis, the current study makes no
recommendations.
The study was written by Noah Meyerson, Charles Pineles-Mark, and Michael Simpson of
CBO’s Health and Human Resources Division, under the direction of Joyce Manchester and
Bruce Vavrichek. Research assistance was provided by Philip Armour, Sarah Axeen, and
L. Daniel Muldoon. James Baumgardner, Sheila Dacey, Benjamin Page, David Rafferty,
Jonathan Schwabish, and Julie Topoleski provided helpful comments on earlier drafts.
Andrew Biggs of the American Enterprise Institute and Paul Van de Water of the Center for
Budget and Policy Priorities also provided useful comments. (The assistance of external
reviewers implies no responsibility for the final product, which rests solely with CBO.)
Kate Kelly edited the manuscript, and Leah Mazade and Sherry Snyder proofread it.
Maureen Costantino took the cover photograph and designed the cover, and Jeanine Rees
prepared the study for publication. Jonathan Schwabish provided help with graphics.
Monte Ruffin produced the initial printed copies, Linda Schimmel coordinated the print
distribution, and Simone Thomas prepared the electronic version for CBO’s Web site
(www.cbo.gov).
Douglas W. Elmendorf
Director
July 2010
CBO
www.cbo.gov
http://www.cbo.gov/doc.cfm?index=6377
MaureenC
Doug Elmendorf
Contents
Summary ix
Introduction 1
An Overview of Social Security 1
Social Security Projections 4
Assessing Options for Changing Social Security 7
Key Elements of Social Security 8
Scope of the Options 9
Effects of the Options on the System’s Finances 11
Effects of the Options on Payroll Taxes Paid and Benefits Received by
Various Groups 13
Effects of the Options on Work and Saving 15
Options That Wo ...
Here is a short summary of what Solvency II is and how it’ll impact financial services institutions in the US (most of which are deemed to have fully or partly equivalent rules) along with EU.
The Solvency II Directive, along with the Omnibus II Directive that amended it became a law on March 31, 2015. On April 1, 2015 the approval processes began, and after years of delay and negotiations, the Europe-wide capital regime for insurance companies came into effect on January 1, 2016. Insurers will have to comply with new rules and capital requirements of Solvency II across the EU.
Here is a short summary of what Solvency II is and how it’ll impact financial services institutions in the US (most of which are deemed to have fully or partly equivalent rules) along with EU.
Living Longer, Living Better: Reform Report #2 - GT review AustraliaGrant Thornton
This is our second report in response to the Government's Living Longer, Living Better package.
In this document, we discuss the implications of, and industry reaction to, the initiatives recently announced by the Government as more detail of their response to the Productivity Commission's report emerges.
This year’s guide has a particular focus on the United Kingdom, and featured topics include automatic enrolment, pension flexibility and the rise of defined contribution pensions.
Similar to Defined benefit pensions with Liability Driven Investments (20)
how to sell pi coins in South Korea profitably.DOT TECH
Yes. You can sell your pi network coins in South Korea or any other country, by finding a verified pi merchant
What is a verified pi merchant?
Since pi network is not launched yet on any exchange, the only way you can sell pi coins is by selling to a verified pi merchant, and this is because pi network is not launched yet on any exchange and no pre-sale or ico offerings Is done on pi.
Since there is no pre-sale, the only way exchanges can get pi is by buying from miners. So a pi merchant facilitates these transactions by acting as a bridge for both transactions.
How can i find a pi vendor/merchant?
Well for those who haven't traded with a pi merchant or who don't already have one. I will leave the telegram id of my personal pi merchant who i trade pi with.
Tele gram: @Pi_vendor_247
#pi #sell #nigeria #pinetwork #picoins #sellpi #Nigerian #tradepi #pinetworkcoins #sellmypi
how to sell pi coins effectively (from 50 - 100k pi)DOT TECH
Anywhere in the world, including Africa, America, and Europe, you can sell Pi Network Coins online and receive cash through online payment options.
Pi has not yet been launched on any exchange because we are currently using the confined Mainnet. The planned launch date for Pi is June 28, 2026.
Reselling to investors who want to hold until the mainnet launch in 2026 is currently the sole way to sell.
Consequently, right now. All you need to do is select the right pi network provider.
Who is a pi merchant?
An individual who buys coins from miners on the pi network and resells them to investors hoping to hang onto them until the mainnet is launched is known as a pi merchant.
debuts.
I'll provide you the Telegram username
@Pi_vendor_247
US Economic Outlook - Being Decided - M Capital Group August 2021.pdfpchutichetpong
The U.S. economy is continuing its impressive recovery from the COVID-19 pandemic and not slowing down despite re-occurring bumps. The U.S. savings rate reached its highest ever recorded level at 34% in April 2020 and Americans seem ready to spend. The sectors that had been hurt the most by the pandemic specifically reduced consumer spending, like retail, leisure, hospitality, and travel, are now experiencing massive growth in revenue and job openings.
Could this growth lead to a “Roaring Twenties”? As quickly as the U.S. economy contracted, experiencing a 9.1% drop in economic output relative to the business cycle in Q2 2020, the largest in recorded history, it has rebounded beyond expectations. This surprising growth seems to be fueled by the U.S. government’s aggressive fiscal and monetary policies, and an increase in consumer spending as mobility restrictions are lifted. Unemployment rates between June 2020 and June 2021 decreased by 5.2%, while the demand for labor is increasing, coupled with increasing wages to incentivize Americans to rejoin the labor force. Schools and businesses are expected to fully reopen soon. In parallel, vaccination rates across the country and the world continue to rise, with full vaccination rates of 50% and 14.8% respectively.
However, it is not completely smooth sailing from here. According to M Capital Group, the main risks that threaten the continued growth of the U.S. economy are inflation, unsettled trade relations, and another wave of Covid-19 mutations that could shut down the world again. Have we learned from the past year of COVID-19 and adapted our economy accordingly?
“In order for the U.S. economy to continue growing, whether there is another wave or not, the U.S. needs to focus on diversifying supply chains, supporting business investment, and maintaining consumer spending,” says Grace Feeley, a research analyst at M Capital Group.
While the economic indicators are positive, the risks are coming closer to manifesting and threatening such growth. The new variants spreading throughout the world, Delta, Lambda, and Gamma, are vaccine-resistant and muddy the predictions made about the economy and health of the country. These variants bring back the feeling of uncertainty that has wreaked havoc not only on the stock market but the mindset of people around the world. MCG provides unique insight on how to mitigate these risks to possibly ensure a bright economic future.
NO1 Uk Black Magic Specialist Expert In Sahiwal, Okara, Hafizabad, Mandi Bah...Amil Baba Dawood bangali
Contact with Dawood Bhai Just call on +92322-6382012 and we'll help you. We'll solve all your problems within 12 to 24 hours and with 101% guarantee and with astrology systematic. If you want to take any personal or professional advice then also you can call us on +92322-6382012 , ONLINE LOVE PROBLEM & Other all types of Daily Life Problem's.Then CALL or WHATSAPP us on +92322-6382012 and Get all these problems solutions here by Amil Baba DAWOOD BANGALI
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Turin Startup Ecosystem 2024 - Ricerca sulle Startup e il Sistema dell'Innov...Quotidiano Piemontese
Turin Startup Ecosystem 2024
Una ricerca de il Club degli Investitori, in collaborazione con ToTeM Torino Tech Map e con il supporto della ESCP Business School e di Growth Capital
what is the best method to sell pi coins in 2024DOT TECH
The best way to sell your pi coins safely is trading with an exchange..but since pi is not launched in any exchange, and second option is through a VERIFIED pi merchant.
Who is a pi merchant?
A pi merchant is someone who buys pi coins from miners and pioneers and resell them to Investors looking forward to hold massive amounts before mainnet launch in 2026.
I will leave the telegram contact of my personal pi merchant to trade pi coins with.
@Pi_vendor_247
Even tho Pi network is not listed on any exchange yet.
Buying/Selling or investing in pi network coins is highly possible through the help of vendors. You can buy from vendors[ buy directly from the pi network miners and resell it]. I will leave the telegram contact of my personal vendor.
@Pi_vendor_247
Falcon stands out as a top-tier P2P Invoice Discounting platform in India, bridging esteemed blue-chip companies and eager investors. Our goal is to transform the investment landscape in India by establishing a comprehensive destination for borrowers and investors with diverse profiles and needs, all while minimizing risk. What sets Falcon apart is the elimination of intermediaries such as commercial banks and depository institutions, allowing investors to enjoy higher yields.
what is the future of Pi Network currency.DOT TECH
The future of the Pi cryptocurrency is uncertain, and its success will depend on several factors. Pi is a relatively new cryptocurrency that aims to be user-friendly and accessible to a wide audience. Here are a few key considerations for its future:
Message: @Pi_vendor_247 on telegram if u want to sell PI COINS.
1. Mainnet Launch: As of my last knowledge update in January 2022, Pi was still in the testnet phase. Its success will depend on a successful transition to a mainnet, where actual transactions can take place.
2. User Adoption: Pi's success will be closely tied to user adoption. The more users who join the network and actively participate, the stronger the ecosystem can become.
3. Utility and Use Cases: For a cryptocurrency to thrive, it must offer utility and practical use cases. The Pi team has talked about various applications, including peer-to-peer transactions, smart contracts, and more. The development and implementation of these features will be essential.
4. Regulatory Environment: The regulatory environment for cryptocurrencies is evolving globally. How Pi navigates and complies with regulations in various jurisdictions will significantly impact its future.
5. Technology Development: The Pi network must continue to develop and improve its technology, security, and scalability to compete with established cryptocurrencies.
6. Community Engagement: The Pi community plays a critical role in its future. Engaged users can help build trust and grow the network.
7. Monetization and Sustainability: The Pi team's monetization strategy, such as fees, partnerships, or other revenue sources, will affect its long-term sustainability.
It's essential to approach Pi or any new cryptocurrency with caution and conduct due diligence. Cryptocurrency investments involve risks, and potential rewards can be uncertain. The success and future of Pi will depend on the collective efforts of its team, community, and the broader cryptocurrency market dynamics. It's advisable to stay updated on Pi's development and follow any updates from the official Pi Network website or announcements from the team.
Currently pi network is not tradable on binance or any other exchange because we are still in the enclosed mainnet.
Right now the only way to sell pi coins is by trading with a verified merchant.
What is a pi merchant?
A pi merchant is someone verified by pi network team and allowed to barter pi coins for goods and services.
Since pi network is not doing any pre-sale The only way exchanges like binance/huobi or crypto whales can get pi is by buying from miners. And a merchant stands in between the exchanges and the miners.
I will leave the telegram contact of my personal pi merchant. I and my friends has traded more than 6000pi coins successfully
Tele-gram
@Pi_vendor_247
USDA Loans in California: A Comprehensive Overview.pptxmarketing367770
USDA Loans in California: A Comprehensive Overview
If you're dreaming of owning a home in California's rural or suburban areas, a USDA loan might be the perfect solution. The U.S. Department of Agriculture (USDA) offers these loans to help low-to-moderate-income individuals and families achieve homeownership.
Key Features of USDA Loans:
Zero Down Payment: USDA loans require no down payment, making homeownership more accessible.
Competitive Interest Rates: These loans often come with lower interest rates compared to conventional loans.
Flexible Credit Requirements: USDA loans have more lenient credit score requirements, helping those with less-than-perfect credit.
Guaranteed Loan Program: The USDA guarantees a portion of the loan, reducing risk for lenders and expanding borrowing options.
Eligibility Criteria:
Location: The property must be located in a USDA-designated rural or suburban area. Many areas in California qualify.
Income Limits: Applicants must meet income guidelines, which vary by region and household size.
Primary Residence: The home must be used as the borrower's primary residence.
Application Process:
Find a USDA-Approved Lender: Not all lenders offer USDA loans, so it's essential to choose one approved by the USDA.
Pre-Qualification: Determine your eligibility and the amount you can borrow.
Property Search: Look for properties in eligible rural or suburban areas.
Loan Application: Submit your application, including financial and personal information.
Processing and Approval: The lender and USDA will review your application. If approved, you can proceed to closing.
USDA loans are an excellent option for those looking to buy a home in California's rural and suburban areas. With no down payment and flexible requirements, these loans make homeownership more attainable for many families. Explore your eligibility today and take the first step toward owning your dream home.
how to sell pi coins on Bitmart crypto exchangeDOT TECH
Yes. Pi network coins can be exchanged but not on bitmart exchange. Because pi network is still in the enclosed mainnet. The only way pioneers are able to trade pi coins is by reselling the pi coins to pi verified merchants.
A verified merchant is someone who buys pi network coins and resell it to exchanges looking forward to hold till mainnet launch.
I will leave the telegram contact of my personal pi merchant to trade with.
@Pi_vendor_247
Empowering the Unbanked: The Vital Role of NBFCs in Promoting Financial Inclu...Vighnesh Shashtri
In India, financial inclusion remains a critical challenge, with a significant portion of the population still unbanked. Non-Banking Financial Companies (NBFCs) have emerged as key players in bridging this gap by providing financial services to those often overlooked by traditional banking institutions. This article delves into how NBFCs are fostering financial inclusion and empowering the unbanked.
Introduction to Indian Financial System ()Avanish Goel
The financial system of a country is an important tool for economic development of the country, as it helps in creation of wealth by linking savings with investments.
It facilitates the flow of funds form the households (savers) to business firms (investors) to aid in wealth creation and development of both the parties
What price will pi network be listed on exchangesDOT TECH
The rate at which pi will be listed is practically unknown. But due to speculations surrounding it the predicted rate is tends to be from 30$ — 50$.
So if you are interested in selling your pi network coins at a high rate tho. Or you can't wait till the mainnet launch in 2026. You can easily trade your pi coins with a merchant.
A merchant is someone who buys pi coins from miners and resell them to Investors looking forward to hold massive quantities till mainnet launch.
I will leave the telegram contact of my personal pi vendor to trade with.
@Pi_vendor_247
Defined benefit pensions with Liability Driven Investments
1. House of Commons
Work and Pensions Committee
Defined benefit
pensions with Liability
Driven Investments:
Government Response
to Committee’s Seventh
Report of Session
2022–23
First Special Report of
Session 2023–24
Ordered by the House of Commons
to be printed 15 November 2023
HC 259
Published on 20 November 2023
by authority of the House of Commons
3. 1
Defined benefit pensions with Liability Driven Investments: Government Response to Committee’s Seventh Report of Session 2022-23
Contents
Report3
Appendix: Government Response 3
The LDI episode 3
Recommendation 1 3
Future use of LDI 5
Recommendation 2 5
Governance of LDI risks 5
Recommendation 3 5
Recommendation 4 6
Recommendation 5 7
Managing systemic risk 7
Recommendation 6 7
Recommendation 7 8
Recommendation 8 8
Recommendation 9 9
Recommendation 10 9
4.
5. 3
Defined benefit pensions with Liability Driven Investments: Government Response to Committee’s Seventh Report of Session 2022-23
Report
The Work and Pensions Committee published its Seventh Report of Session 2022–23,
Defined benefit pensions with Liability Driven Investments (HC 826) on 23 June 2023. The
The Government Response was received, in the form of a letter from the then Minister for
Pensions, Laura Trott MBE MP, on 10 November 2023 and is appended below.
Appendix: Government Response
We would like to thank the Committee for conducting such a thorough inquiry into
defined benefit (DB) pensions with Liability Driven Investments (LDI), undertaken in
response to the economic uncertainty experienced in the UK in September 2022.
As the report recognises, much work has already been done by policymakers in the
Department for Work and Pensions (DWP) and His Majesty’s Treasury (HMT), in
partnership with regulators The Pensions Regulator (TPR) and the Financial Conduct
Authority (FCA), to understand causes and take steps to build resilience for the future.
This work continues, taking account of the evidence provided to the Committee and the
recommendations made in their report.
TheGovernmentwelcomestheCommittee’sreport.TheGovernment’sresponseindicating
the progress to date and proposals for future work to address each recommendation is set
out below.
The LDI episode
Recommendation 1
According to TPR the majority of pension schemes emerged from 2022 with improved
funding levels. However, external analysis raises questions as to how confident they can be
about these improvements. There are concerns that some schemes had their funding levels
negatively affected as a result of the events of September 2022. In addition, the aggregate
value of scheme assets, according to the PPF, was £400 billion less at the end of 2022 than
it was at the beginning. It is important to understand what the impact was and what led to
these results so that the system can work better in the future.
DWP should work with TPR and the PPF to produce, by the end of 2023, a detailed account
of the impact on pension schemes of the LDI episode. This should:
i) look at the impact on funding levels, detailing how the value of their assets
and liabilities changed, showing the results disaggregated by whether the fund
used LDI and, if so, whether in a pooled, segregated or bespoke arrangement;
and
ii) include analysis of the factors which contributed to scheme funding improving
or deteriorating, including the role played by LDI strategies. (Paragraph 65)
DWP continues to work with TPR to understand the impact on pension schemes of the
LDI episode.
6. Defined benefit pensions with Liability Driven Investments: Government Response to Committee’s Seventh Report of Session 2022-23
4
Although DB schemes asset values fell by £400 billion at the end of 2022 relative to the
start of the year, the impact cannot be credited solely to the LDI event in the Autumn.
Asset values for DB schemes were in decline prior to September’s events and declined
throughout 2022 as shown below. This is in part due to rising inflation and interest rates
causing a sustained fall in asset values including government bond prices. CPI rose by
10.5% in the 12 months to December 2022, which would have contributed to the fall in
asset values across 2022.
TPR is conducting further analysis on scheme assets, liabilities and funding changes over
2022. This analysis will consider the key factors which contributed to scheme funding
improving or deteriorating, including the role played by LDI strategies.
The Committee will be aware of the limitations of data collected by TPR on LDI prior to
the events. During the events of last autumn, the FCA and BoE went to the most direct
source of data available, which was the LDI funds themselves. Going forward, as discussed
at the session, TPR, the FCA and the BoE will be using an enhanced version of this data
set to monitor the resilience of the sector. TPR will be augmenting the existing data, with
other sources to create a richer picture for the Committee. TPR are working to produce
this report by the end of 2023.
The PPF use the latest annual scheme returns data provided by TPR when producing their
Purple Book (annual publication of data and analysis of the UK DB pension landscape).
As such PPF would not hold anything further that would usefully expand upon the data
TPR currently hold.
7. 5
Defined benefit pensions with Liability Driven Investments: Government Response to Committee’s Seventh Report of Session 2022-23
Future use of LDI
Recommendation 2
Leverage may have worked relatively well for pension schemes during a long period of
low and volatile interest rates. However, it exposed them to additional liquidity risk and
requirements, as collateral demands can change over short periods when interest rates
change. With the imposition of much higher capital buffers, the cost of LDI has risen.
For schemes in deficit who use these strategies, this may mean it takes longer to reach
their long-term objective. Trustee boards will continue to have complex decisions to make
about whether and how to use LDI. The experience of September 2022 indicates some will
face challenges doing so.
TPR should require trustees to report certain data on their use of LDI and should develop a
strategy for engaging with schemes based on the results more closely. (Paragraph 81)
TPR will be using a range of sources to monitor adherence to their guidance on Using
Leveraged Liability Driven Investment.1
Levels of buffer in operation will be monitored by TPR in collaboration with the Bank of
England and FCA, as recommended by the Financial Policy Committee (FPC) Summary
andRecordoftheir23March2023meeting.2ThisdatawillbecollectedfromLDImanagers
on a regular basis and covers pooled and segregated funds representing approximately
90% of the market.
TPR will be introducing new questions to the scheme return which trustees of DB schemes
are required to make to them annually. This will improve TPR’s oversight of asset liquidity
outside LDI mandates, so TPR can have confidence that buffers can be replenished in a
timely fashion in the event of severe market movements.
TPR will also be surveying investment consultants and schemes to check that governance
and operational procedures are being implemented in line with TPR’s guidance. Market
feedback suggests significantly improved processes have been put in place, but such survey
information will help TPR detect and follow up poor practice with individual schemes
and their advisers.
Governance of LDI risks
Recommendation 3
TPR told us that scheme consolidation would help improve scheme governance, by
reducing the number of small schemes. However, consolidation needs to be into a safe
vehicle, which requires legislation. DWP consulted on DB consolidation in 2018 but has
still not responded to this. Another long-standing question has been whether to require
some form of qualification for at least some trustees.
As a first step to improving governance, DWP should respond to its consultation on DB
consolidation (superfunds) no later than the end of October 2023. It should then work with
1 Using leveraged liability-driven investment | The Pensions Regulator
2 Record of the Financial Policy Committee meeting - 23 March 2023 (bankofengland.co.uk)
8. Defined benefit pensions with Liability Driven Investments: Government Response to Committee’s Seventh Report of Session 2022-23
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TPR as a priority to improve the regulation of trustees and standards of governance, as it has
said it intends to do. Given the time it will take to consult on, legislate for, and implement
measures to improve governance, DWP should consider whether the use of LDI could be
restricted, for example, based on a test related to a trustee board’s ability to understand and
manage the risks involved. (Paragraph 99)
DWP published the Government response to the consultation on Consolidation of
Defined Benefit Pension Schemes on 11 July 2023,3 which was shortly followed by updated
TPR guidance4 for Superfunds.
DWP and HMT have undertaken a call for evidence on Pension trustee skills, capability
and culture.5 This call for evidence considered trustee skills and capability as well as the
role of advice (including that of investment consultants). The aim was to improve DWP
and HMT’s understanding of these areas and potentially inform future policy.
TPR expects all schemes to have robust controls in place around the use of LDI, as outlined
in their guidance on Using Leveraged Liability-Driven Investment. As set out in response
to Recommendation 2, TPR plan to monitor adherence with the guidance using a range
of sources. Data from the FCA on buffers alongside feedback from leading investment
consultancies and LDI managers strongly indicate that operational governance has
improved.
There is no direct means for TPR to restrict LDI use, as TPR does not set schemes
investment strategies, including LDI structures. This is ultimately a decision for trustees
and scheme sponsors. However, where TPR identifies failures of governance, it may take
action, including, but not limited to, appointing an independent trustee, removing a
trustee or taking other enforcement action.
Recommendation 4
We heard, including from the FCA itself, that in some cases investment consultants were
giving standardised advice, rather than thinking through what was best for the individual
pension fund. Given the complexity of the decisions trustees are required to make, this is
a concern.
The Government should bring forward plans for investment consultants to be brought within
the FCA’s regulatory perimeter before the end of this Parliament. (Paragraph 105)
The Government welcomes the Committee’s recommendation that investment consultants
are brought within the FCA’s regulatory perimeter. The DWP and HMT call for evidence
on Pension trustee skills, capability and culture considers the role of advice and includes
that of investment consultants. The aim is to improve DWP and HMT’s understanding of
these areas and inform future policy.
The Government will take the Committee’s views into account – alongside the perspectives
of the Competition and Markets Authority, the FCA, and the FPC – as it assesses its next
steps.
3 https://www.gov.uk/government/consultations/defined-benefit-pension-scheme-consolidation/outcome/
government-response-consolidation-of-defined-benefit-pension-schemes
4 Supporting innovation in DB superfunds to drive better saver outcomes (thepensionsregulator.gov.uk)
5 Pension trustee skills, capability and culture: a call for evidence - GOV.UK (www.gov.uk)
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Defined benefit pensions with Liability Driven Investments: Government Response to Committee’s Seventh Report of Session 2022-23
Recommendation 5
To play their part in monitoring LDI, trustees need timely and accurate information from
LDI funds and advisers. We welcome the fact that the FCA issued guidance on this in
April.
TPR should work with the FCA to review whether the guidance the FCA issued to LDI
funds in April has been implemented effectively and is providing trustees with the simple
mechanism for monitoring LDI that the FPC said was needed. (Paragraph 108)
TPR is collaborating closely with the FCA and the National Competent Authorities
(NCAs) (the Central Bank of Ireland and the Commission de Surveillance du Secteur
Financier of Luxemburg) to review whether that guidance issued to LDI managers (by the
FCA) and pooled funds (by the NCAs) has been implemented effectively.
TPR’s guidance seeks to align with that put out with by the FCA and NCAs, and sets clear
expectation on trustees in terms of monitoring the resilience of their LDI arrangements.
TPR and FCA are keeping their guidance under review and will amend it if further clarity
is required and in light of best practice.
Managing systemic risk
Recommendation 6
TPR is working to become a more digitally enabled and data-led organisation but has a long
way to go to achieve this. We support the Financial Policy Committee’s recommendation
that TPR should specify minimum levels of resilience for the LDI arrangements in
which pension schemes may invest and work with other regulators to ensure these are
maintained. TPR does not have the data to check whether its guidance is being followed.
DWP and TPR should report back to us by the end of October 2023 on how they plan to
monitor whether LDI resilience is being maintained. They should also set out a timeline
for TPR’s commitment to become a more digitally enabled and data-led organisation, with
plans to resource it. (Paragraph 124)
As set out in the response to recommendation 2 TPR will use a range of sources to
monitor whether LDI resilience is being maintained – data on buffers collected by the
FCA from LDI managers, data from trustees on liquidity levels, and data from trustees
and investment consultants on governance mechanisms.
TPR is committed to becoming data-led and digitally enabled, so it can better spot and
assess risk, identify and prevent harm, and provide even greater value for money to savers
and pension schemes.
As set out in their Corporate Plan 2023 to 2024,6 a priority for TPR this year is the
development and embedding of their Data, Digital and Technology Directorate (DDaT).
TPR is rapidly building their capability in this space, including through the recent
recruitment of a new Director of Digital Services and a new Director of Data Services,
6 ttps://www.thepensionsregulator.gov.uk/en/document-library/corporate-information/corporate-plans/corporate-
plan-2023–24
10. Defined benefit pensions with Liability Driven Investments: Government Response to Committee’s Seventh Report of Session 2022-23
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who bring with them significant experience from both the public and private sector. In
May, TPR’s Board approved the business case for the development of a number of new
digital services for pension schemes, which will be delivered over the next three years.
TPR will set out their vision in a data and digital strategy by the end of the financial year.
Key objectives for this strategy will include ensuring that they have timely and relevant
data, and the automation of processes to drive greater efficiency and consistency.
Recommendation 7
In addition to putting in place mechanisms to provide real-time warning of reductions in
LDI resilience, the Department for Work and Pensions and The Pensions Regulator should
consult on whether introducing disclosure requirements on pension schemes relating the use
of LDI through the annual report or investment statement, would help improve standards
of governance. They should consult with stakeholders on the data it is appropriate to collect.
We suggest that consideration is given to:
i) The maximum leverage allowed in the LDI funds in which the scheme is
invested; the type of LDI they invest in;
ii) Compliance with minimum resilience levels; and
iii) Data on the pension schemes’ asset allocations, by growth and matching
assets. If they conclude that requiring pensions schemes to report regularly
on their use of LDI would place an undue burden on some schemes, TPR and
DWP should explain the basis for allowing such schemes to continue to use
leveraged LDI. (Paragraph 127)
The law (section 35 of the Pensions Act 1995 and the Occupational Pension Schemes
(Investment) Regulations 2005) requires trustees of a scheme with more than 100
members to prepare a statement of investment principles setting out their investment
strategy, including the investment objectives and policies trustees adopt. This statement is
reviewed at least every 3 years and after any significant change in investment policy.
As set out in the response to recommendations 2 and 5 TPR has a programme of work in
place to collect data and monitor compliance with resilience standards. DWP will consider,
in light of TPR’s findings, whether changes to disclosure requirements are appropriate.
Recommendation 8
Given the extent of leverage and the concentration of DB investments, more should have
been done to follow up on the risks identified in 2018 by the Bank of England. Collecting
better data on LDI is part of what is needed to improve management of systemic risks in
future. It will also be essential that DWP and TPR work with other regulators and the Bank
of England to analyse its implications. DWP and TPR should report back by the end of
October 2023 on how they intend to ensure this happens. (Paragraph 137)
As set out above in response to recommendation 2 the data TPR will be collecting data
on LDI, including through a collaborative framework with the FCA and BoE to monitor
leverage. This framework will be in place by the end of 2023.
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Defined benefit pensions with Liability Driven Investments: Government Response to Committee’s Seventh Report of Session 2022-23
DWP with HMT, TPR, BOE and FCA are working together to ensure that they are able
to better manage financial systemic risks in pensions both now and in the future. Further
details of this are set out in response to recommendation 9 below.
Recommendation 9
When the LDI episode arose, the Bank of England had to intervene to prevent financial
instability.Theregulatoryframeworkwascomplexandfragmentary,andnotfitforpurpose
when it came to managing systemic risks. The Financial Policy Committee recommended
that TPR should have the remit to take into account financial stability considerations.
Given the events of September 2022, we tend to agree, although it depends on what it
means. One possible model would be for TPR to be a source of key information, able to
proactively identify potential risks in the sector and then work with other regulators to
analyse the implications.
DWP should report back to us by the end of January 2024 on how it proposes to take forward
the FPC’s recommendation that TPR be given a remit to take account of financial stability
considerations and how it plans to ensure that TPR has the capacity and capability to deliver
on this. (Paragraph 140)
TPR, the FCA and BoE all have a role to play in monitoring risks and feeding into the
FPC’s assessment of systemic risks to the UK financial system. The Government accepts
the FPC’s recommendation that TPR should incorporate financial stability considerations
in its decision making and balance them with its objectives as a pensions regulator.
As suggested by the Committee, enabling TPR to be a source of key information through
data collection is a sensible means of achieving this. Government wants TPR to be more
connected within the financial stability ecosystem and bringing the added value of TPR’s
pensions expertise without duplicating capability held by other regulators. TPR is looking
to set up protocols with the BoE to ensure, as a pensions regulator, they are working
cohesively with the wider financial regulatory system. Collaborative working is already
underway – in addition to monitoring LDI resilience as set out above, TPR and the FCA
are also supporting the BoE with their System Wide Exploratory Scenario exercise.
As a direct result of the LDI episode, TPR is in the process of reviewing its approach
to the capture, ownership, assessment and management of external risks. This includes
expanding its work to consider not only risks to savers and their strategy, but also the
risk that the operation of the pension system destabilises the financial system. TPR is
currently researching non-LDI trends within pensions (and especially within the gilt and
insurance markets) that might lead to concentration risk and have wider financial stability
risk implications. TPR are in conjunction with DWP also exploring what additional skills
and capabilities they may require to embed the consideration of financial stability in their
work.
Recommendation 10
There are two fundamental concerns with the new funding regime. One is that the
approach is not sufficient to allow open schemes to thrive. This is an issue to which we
will return in our wider inquiry on defined benefit pension schemes. The second is that it
will result in greater ‘herding’ in investment decisions.
12. Defined benefit pensions with Liability Driven Investments: Government Response to Committee’s Seventh Report of Session 2022-23
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In light of the FPC’s recommendation for TPR to take account of financial stability, DWP and
TPR should halt their existing plans for a new funding regime, at least until it has produced
a full impact assessment for the proposals, including the impact on financial stability and on
open DB schemes. (Paragraph 149)
DWP plan to lay the draft Occupational Pension Scheme (Funding and Investment
Strategy and Amendment) Regulations 2023 before Parliament in due course and it will
address this matter. A full impact assessment will accompany the draft Regulations.
The Impact Assessment will consider the interactions of the Regulations with the wider
macroeconomic environment. These issues will be monitored closely by the Secretary
of State for the Department for Work and Pensions and through regular assessment of
the data collected by the Office for National Statistics, the PPF and TPR, and DWP will
publish a report at least every 5 years.