In a lighter vein, Pawan Verma narrates the travails of dealing with compliance at various stages of business in the domain of Life Insurance.
When
I was invited to contribute an article for the current issue of the IRDA Journal, focusing
on Regulatory Compliance, my immediate impulse was to have an interaction with
the industry experts so as to develop a comprehensive and inclusive view on the
subject before writing something meaningful. Following the impulse, I set up an
interview with the MD & CEO of a life insurance company. Warming up for the
discussion over a cup of coffee, I asked him,
“What
keeps you awake at nights these days?”
The
CEO was quick in his response, “Oh! I sleep like a baby.”
I
was literally flummoxed and flabbergasted, wondering how could the CEO of a
life insurance company sleep like a baby in these turbulent times when the top
lines are sliding down day by day like the Indian Rupee and the expense lines are
soaring up month after month like the Indian inflation, while the bottom lines
are discovering new bottoms every Quarter. Sensing my confusion, he immediately
clarified,
“Oh
yes, I sleep like a baby…waking up every two hours and crying… worrying about
any regulations that my guys might have violated today accidentally and for
which I was going to be hauled up by the Regulators the next morning.”
“But
a sensitive IRDA would understand the problems of a CEO”, I said hesitatingly.
“You
see, it’s not IRDA”, he continued, “We are really living in difficult times. After
we got liberated from the British Raj, we aimed to build up the Panchayati Raj.
But, what we got in return was the License Raj. Unfortunately, as we threw away
the shackles of the License Raj in 1991, we got saddled with the Compliance
Raj. There’s no escaping the Raj. Even though we may want to give up on the
Raj, the Raj is not giving up on us.”
Listening
to him, I could realize the difficult times we were living in. I remembered the
good old days when as a college student I had walked into a bank branch to
withdraw some money. As the teller had some problems with the signature of the
young lady ahead of me in the queue, he requested her to identify herself. The
lady immediately took out a mirror from her vanity bag, looked into it and declared
innocently, “Yes, it’s me only”. The teller smiled and gave her the money. I am
sure, if it were present times, the same teller would have insisted on a photo
Id card and a residence proof, as the minimum requirement.
However,
not to be overtaken by pessimism, I decided to talk to some other professionals
in the industry and met the Distribution Head of another life insurance
company. I asked him what was on top of his agenda these days. He explained
that he was running an extensive program to train his entire sales force.
Perplexed, I asked him, “Yours is a pretty old company. I thought you would
have already trained your sales staff over the period of time.”
He
was candid, “You know, while insurance is a mundane and static subject,
compliance is a very dynamic issue, acquiring new dimensions every day. Hence
we continue organizing comprehensive compliance training programs very
frequently.”
“That
means your sales must be looking up…”, I said.
“Oh!
We also sell insurance… when we are free from compliance,” he replied, “but
contrary to your expectations, our sales are going downhill.”
“I
don’t understand this...more agent meetings should obviously translate into
higher sales.”
“You
see, earlier my agents were able to sell, unmindful of the implications of the
statements they were making to the customers. But, having undergone the in-depth
compliance training, they are now careful about what they say to the customers
and how they say it. It has obviously been impacting our sales.”
“There
must be some better way of addressing the situation…” I mused.
“No
Mr Verma, I had always thought that one could reason out the rationale behind the
compliance circulars and follow them in spirit, and thus compliance and sales
could go together. But no, that doesn’t work. Oil & water mix better than
sales & compliance. Today, we are in a situation where theirs not to
reason why, theirs but to comply and die.”
The
Cost of Compliance
I
was lucky to get the CFO and the Appointed Actuary together in one room in the
next company. The CFO was brutally frank, “The cost of compliance today is too
prohibitive to run a profitable business.” The Appointed Actuary however, was more
practical and down-to-earth and thought that one must comply with the
regulations without ever questioning the rationale behind the same.
“Once
we added some more information in a regulatory report than asked for,” explained
the wise man, “but we were hauled up for tampering with the sacrosanct formats
created by the Regulator.”
Evolution
of Compliance Culture
It
is not that everybody in the system is equally unhappy and pessimistic. Compliance
has brought happiness to a lot of people in the industry as well. In one of the
companies, I met an old lady who had been doing the compliance function for
ages. She was highly positive about the way the compliance culture in the
industry has evolved over the years. She recollected her first day in the company
and the HR Head’s words,
“Here’s
your appointment letter as the Compliance Officer. Find out what it means and
do it.”
As
per her, compared to the past, compliance was taken much more seriously in the
company now. But there was another reason for her happiness. As she put it,
“Earlier,
I always had the problem finding out what to do next. But thanks to IRDA, I don’t
have to do the thinking any longer. They do the thinking and tell us what do,
when to do and how to do. Moreover, now I feel more secure about my job because
there is enough to do and it is sure to be there irrespective of the business
cycles.”
The
Man at the Centre
However,
my journey seemed to be incomplete without meeting the man at the centre – the
Principal Compliance Officer (PCO). While talking to the different functional
heads, I had always enquired what they thought of the PCO. They were unanimous
in their opinion that they had developed an instant dislike for the PCO in the
very first meeting…only to save time later.
The
meeting with the PCO however, was very enlightening. A firm stickler for
compliance, he sincerely believed that a stricter compliance regime was the
solution for all the ills of the industry.
“Look
at the level of mis-selling happening in the industry. I am of the firm opinion
that every insurance sale must be handled by at least three agents – the first
to canvass the customer, the second to verify if the product was explained to
the customer properly and the third one to certify that the due sales processes
were followed in conducting the sale.”
“But
the cost and the productivity…” I wondered.
“Forget
the cost, productivity and business numbers. Once the compliance processes are
fully in place, these mundane things will take care of themselves over a period
of time.”
Disinterested
Directors
Pondering
over the issue, I shared my thoughts with my wife that I needed to talk to some
Director on the Board of a company as I believed that the compliance culture in
a company had to be driven from the top and it was the top management alone
which could remove the bottlenecks within the system.
Not always very kind to my thoughts, she
immediately shot back, “Look, in most of the bottles that I have seen, the neck
is always at the top.”
Even
though clean-bowled by the googly, I refused to give up batting. I set up a
meeting with the Independent Director on the Board of a company and asked him
what he thought was the Board’s role in driving the compliance culture within
the company. Sounding like a management guru, he said,
“I
agree with you. The compliance culture in the industry has to be driven from
the top – by the Board of the company. But we need to bring in systemic changes
to make the Boards functional and effective. You see, as the institution of
Independent Directors has failed to deliver, you need to develop on the
American pattern, a cadre of Disinterested Directors, who will not have
any fiduciary interest in the company at all and thus will be able to drive the
compliance culture.”
The
high-level wisdom completely left me dumb-founded. I was wondering if our
Directors were not already “disinterested” enough – interested to the
extent of their sitting fees only. Otherwise, what could explain the sorry
state of affairs in the industry?
Taking
It to the Next Level
My
attempts to get the regulator’s perspective on the subject were frustrated
because regulators all over the world are known for their reticence. They only
react after you do the act. Even though I don’t share the cynicism, seasoned
industry observers are of the opinion that across the globe, the regulators’
studied silence on controversial matters and refusal to give advance rulings on
critical issues are effective weapons to perpetuate their authority. If they
explain in advance the rationale behind the regulations they make, will they
not look like ordinary mortals like us? Who will be afraid of them in that case
and how will they impose penalties and generate funds?
However,
it was partly because of my own persuasiveness and partly because of the
openness of our own industry regulator, that I was able to get a few regulatory
sound bites on the subject. On the condition of anonymity, a very senior
official dealing with the issue told me about his dissatisfaction with the
state of affairs in the realm of regulatory compliance.
“You
see”, he said, “we are still at a very primitive stage in terms of enforcing
compliance in our business operations and we owe it to the advanced world to
take it to the next level without any further delay.”
“But,
Sir, I think our policies on Corporate Governance, AML, etc. are very well
conceived and are right in place. Where’s the problem?”
“That’s
the problem…that’s the problem, Mr Verma, with all of you. You guys are never
able to think beyond the mundane and the ordinary. The need of the hour is to
take compliance to the next level - beyond the fore walls of your organization.
Are you ensuring that the vendors who work for you and the suppliers, who
supply you, say pen and paper, are compliant? Are you ensuring that they don’t
use child labour, that they conduct their own businesses in a fair and
transparent manner?”
“These
are noble thoughts sir, but difficult to implement”, I muttered hesitatingly.
“Not
at all”, he countered, “If you want to follow global trends and remain relevant
in a globally integrated economy, you don’t have much of a choice. Tell me, as
a good corporate citizen, should you not stop doing business with a supplier
who does not conduct his own business in a fair and transparent manner?”
I
nodded in acquiescence, living up to my innate wisdom of never ever arguing
with a regulator. However, my confusion had got confounded manifold – what were
my options if I found that the electricity company supplying me power was non-compliant?
Or, for that matter, could I refuse to be regulated by a regulator if I felt
that the regulator was not conducting his business in a fair and transparent
manner?
Customer
- the Helpless King
Having
been sufficiently enlightened by the industry experts on the various dimensions
of regulatory compliance, I thought of talking to someone to whom the entire
industry professes to serve – customer, the king. But I hesitated…could someone’s
experience on regulatory compliance be different from mine as a customer? I
remembered the day the courier had knocked at my door to deliver my credit
card.
“I
have brought your credit card, but, I need to check your Id before I can hand
it over to you”, he had said after asking my name.
Not
liking his stance, I said, “Look here, you landed at my doors looking for me.
You must trust me that I am the right person.”
“No
Sir”, he insisted, “I can’t hand it over to you unless I see your Id proof.”
Fairly
agitated within, I shouted at him, “How dare you ask me to prove my identity in
my own house?”
The
courier boy was calm but firm, “No point arguing it, Sir. This has something to
do with regulatory compliance. You show me the Id or I take the card back.”
I
gave him a nasty look, conveying “don’t mess with the Customer – the King”, but
simultaneously discovered that my right hand was helplessly extended to hand
over the Id proof.
The
writer is former COO of a life insurance company. He is available at pawan.verma@rediffmail.com
(First Published in IRDA Journal September 2013)
(First Published in IRDA Journal September 2013)
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