The last 15 years have seen the advent of a new reinsurance platform, where hedge funds have sponsored non-U.S. reinsurers, who in turn invest their capital in the sponsoring hedge funds. While there are business rationales for this platform, and it does provide an additional source of capital for the reinsurance market, it can also have the effect of sheltering hedge fund investment income from U.S. taxation.

This tax break has caught the attention of the U.S. Treasury Department and legislators, who last year proposed narrowing a key tax exemption underpinning the hedge fund reinsurance platform. Their broad proposals could also ensnare many non-hedge-fund reinsurers as well, and have met substantial resistance from the insurance industry. Recently, presidential candidate Hillary Clinton joined the conversation, promising to immediately close this “Bermuda reinsurance loophole,” if elected.

As a result, non-U.S. reinsurers with U.S. shareholders need to pay attention to this area. This briefing explains the hedge fund reinsurance concept, the tax break in question, and the proposals to crack down on it, and then looks ahead to how reinsurers should prepare for any new rules.