Nimbus Direct Insurance — Regulatory & Compliance Strategy

The South African regulatory framework including insurance licensing and the SAM solvency framework, the Botswana regulatory framework, other material regulations and the compliance operating model.

Nimbus Direct Insurance Business PlanSection 10 › Regulatory & Compliance Strategy

Section 10 · Business Plan

Regulatory & Compliance Strategy

The South African regulatory framework including insurance licensing and the SAM solvency framework, the Botswana regulatory framework, other material regulations and the compliance operating model.

10.1 South African Regulatory Framework

South Africa operates a Twin Peaks financial regulation model
implemented under the Financial Sector Regulation Act 9 of 2017.
Nimbus’s South African operations will be supervised by two principal
authorities:

  • Prudential Authority (PA) — operating within the
    administration of the South African Reserve Bank, the PA supervises the
    financial soundness of insurers under the Insurance Act 18 of 2017 and
    prescribes the Solvency Assessment and Management (SAM) regulatory
    regime, which has been in effect since 1 January 2018.
  • Financial Sector Conduct Authority (FSCA)
    successor body to the Financial Services Board, the FSCA supervises
    market conduct, treating-customers-fairly outcomes, and intermediary
    conduct under the Conduct of Financial Institutions framework.

Insurance Licensing

Nimbus Insurance Company (Pty) Ltd will apply to the Prudential
Authority for a non-life insurance licence under Section 23 of the
Insurance Act 18 of 2017. The licence application will be submitted in
two phases:

  1. Phase A submission (Months 0–3): preliminary engagement and
    prudential pre-application meetings with the PA Insurance Supervision
    Division.
  2. Phase B submission (Months 3–9): formal application including the
    Business Plan, three-year Own Risk and Solvency Assessment (ORSA),
    governance framework, capital plan, fit-and-proper assessments of key
    persons, and detailed risk management framework.
  3. Licence grant (Months 9–12): expected timeline based on recent
    precedent for new entrants of similar complexity.

SAM Solvency Framework

Under SAM, Nimbus must hold capital equal to or in excess of the
Solvency Capital Requirement (SCR), calculated on a 1-in-200-year,
1-year value-at-risk basis using either the Standard Formula or an
approved Internal Model. Nimbus will adopt the Standard Formula from Day
1, with Internal Model development commencing in Year 3. Coverage of the
SCR by Tier 1 own funds is targeted at not less than 150% at all times —
well above the 100% regulatory minimum — providing meaningful buffer
against adverse experience.

Figure 10.1
Figure 10.1 — Projected SCR coverage ratio under the SAM Standard Formula.

10.2 Botswana Regulatory Framework

Nimbus’s Botswana subsidiary will be supervised by the Non-Bank
Financial Institutions Regulatory Authority (NBFIRA) under the Insurance
Industry Act, 2015 and its supporting regulations. NBFIRA’s prudential
regime is broadly aligned with IAIS Insurance Core Principles, though
with a less granular capital standard than SAM. Nimbus will, however,
voluntarily adopt SAM-equivalent capital management at the Group level
to provide a single, consistent risk and capital framework across both
operating subsidiaries.

10.3 Other Material Regulations

  • Protection of Personal Information Act (POPIA),
    2013
    — full compliance from Day 1; appointed Information
    Officer; data-minimisation, lawful-processing, and breach-notification
    frameworks embedded in operating policies.
  • Financial Intelligence Centre Act (FICA), 2001 (amended
    2017)
    — AML, CFT and customer-due-diligence controls aligned
    with FATF recommendations and FIC supervisory expectations.
  • Companies Act 71 of 2008 — King IV Corporate
    Governance principles fully applied on an apply-and-explain basis;
    B-BBEE Codes of Good Practice with a target Level 4 rating by Year
    3.
  • Insurance Sector Code (Financial Sector Charter)
    — meaningful contribution to transformation targets including ownership,
    management control, skills development, enterprise and supplier
    development.
  • Forthcoming CoFI Bill — Nimbus will monitor the
    Conduct of Financial Institutions Bill and design conduct policies in
    anticipation of commencement, expected in 2026–2027.

10.4 Compliance Operating Model

Compliance and risk are integrated under the office of the Chief Risk
& Compliance Officer (CRCO), with three lines of defence:

  • First line — business-unit ownership of risk and
    compliance; embedded business risk and compliance officers in
    underwriting, claims, finance, marketing and technology.
  • Second line — independent Compliance Function,
    Risk Management Function, and Actuarial Function reporting to the CRCO;
    Compliance Officer registered with the FSCA.
  • Third line — Internal Audit Function reporting
    directly to the Board Audit & Risk Committee; co-sourced model for
    the first three years to leverage external specialist capacity
    (preferred provider: KPMG Internal Audit Services).

Confidential — this business plan is provided to prospective investors and lenders for evaluation purposes only and may not be reproduced or distributed without the written consent of Nimbus Direct Insurance Group (Pty) Ltd.