Under the Proposal, banks will be required to accept private flood insurance policies that are:
• Issued by a legitimate insurer;
• Provide coverage at least as broad as an NFIP Policy; and,
• Meet additional requirements regarding advance notice of cancellation; restrictions on filing suit after a claim denial; and providing information about the availability of NFIP coverage.
There is also a “compliance aid” which will help you determine whether you have a private flood insurance policy that you’re required to accept. This is not a safe harbor; however, because you could still face liability if you refuse a policy you’re required, per the rule, to accept.
On the surface, this Proposal appears to be quite complex. It contains specific criteria to assist banks in determining whether coverage under a private policy is “at least as broad as” an NFIP Policy and it also has other criteria for private policies that you can choose to accept.
Be sure to check out our November Newsletter for more details.
Published
2016/11/01
Diane Dean