Anti-Fraud Plan Guidelines
Plan:
Disapproved:
Due:
Information
Date:
SUGGESTED FORMAT
Plans should be submitted
in loose-leaf format using 8 1/2 inch white paper. When a plan is
being resubmitted, after having been previously disapproved,
companies must resubmit the entire plan with the requested adjustments,
unless indicated otherwise. Companies should include names
of all affiliates or subsidiaries as licensed in this state. Plans
should not be submitted in binders, report folders, or any
other bound form. Plans should not be faxed for any
reason.
MISSION STATEMENT
Companies may or may not
want to include a mission statement. A mission statement will allow
a company to give direction to their insurance anti-fraud plan.
However, a mission statement is not required.
PERSONNEL
Companies should include
the primary contact person's
name, address, and telephone number. It is not necessary
to include organizational charts, lists of other company representatives,
or employee background information.
DEFINITIONS
Our office will be looking
for references to both internal and external fraud. External fraud
is defined as fraud which may be committed by the general public
or insureds. Internal fraud is defined as fraud which may be committed
by company employees or representatives. When requesting information
involving these two areas, these definitions should be inferred.
POINTS
Disapproved plans will have areas requiring adjustment
cirlced. "Specific
Guidelines" involving each point must be addressed in the plan.
The suggestions outlined in each area are
the standards applied for compliance with these requirements.
- FRAUD PREVENTION & DETECTION PROCEDURES
"Procedures
to prevent insurance fraud, including internal fraud involving employees
or company representatives, fraud resulting from misrepresentation
on applications for insurance coverage, and claims fraud."
This portion of the plan should address each company's
procedures to identify and deter fraudulent activity which may be
occurring.
To have a successful plan,
companies send lists of indicators used to determine if insureds
may be perpetrating fraud and address the frequency of procedures.
They should also outline measures used to detect fraud which may
be made by an agent in an application or those used to determine
if a company representative may be committing fraud. Companies may
not simply state that these checks are in place.
- External Fraud
- Claim Reviews, Indicators, Red Flags, etc.
- Frequency
- Internal Fraud
- Coverage Application Reviews, Employee Checks and Balances, Security
Measures, Audits, etc.
- Frequency
- FRAUD REVIEW AND INVESTIGATION
"Review
claims in order to detect evidence of possible insurance fraud and
procedures for investigating claims where fraud is suspected."
This portion of the plan should address each company's procedures
to research fraudulent activity once it is suspected to have occurred.
To have a successful plan,
companies send specific guidelines on their investigative process.
They should also outline outside resources used to investigate the
matter, the time lines of an investigation, and how the investigation
is monitored to completion. This may also include commitment of
personnel, such as company representatives, independent contractors,
etc. Companies may not simply state that these reviews are
in place.
- External Fraud
- Consumer related reviews, investigations, etc.
- Internal Fraud
- Employee related reviews, investigations, etc.
- REFERRAL OF FRAUDULENT ACTIVITY TO LAW ENFORCEMENT
"Report fraud to appropriate law enforcement agencies and
cooperate with those agencies in their prosecution of fraud cases."
This portion of the plan should be a narrative as to procedures
developed for reporting suspected fraudulent activity to law enforcement
agencies, prosecutors, etc.
To have a successful plan, companies send specific guidelines
on their reporting procedures and how they cooperate within the
proceedings. They should also outline measures taken to work together
with law enforcement officials. Companies may not
simply state that these activities are performed.
- CIVIL ACTION AGAINST FRAUDULENT ACTIVITY
"Undertake civil actions against persons who have engaged
in fraudulent activities." This portion of the plan should
be a narrative as to procedures developed for seeking restitution
or other damages through either house counsel, independent counsel,
or under criminal proceedings.
To have a successful plan, companies send specific guidelines
on their procedures, who handles them, and how they are monitored.
They should also establish a method to monitor this activity.
Companies may not simply state
that this activity is performed.
- FRAUD DETECTION TRAINING PLAN
"Train company employees and agents in the detection and
prevention of fraud." This portion of the plan should address
each company's procedures to make all company representatives
aware of fraud and associated problems.
To have a successful plan, companies send an explanation of the
type, frequency, and monitoring procedures for training being
offered to all company employees and agents. They may also outline
use of outside resources, informational mailings, or other continuing
education mechanisms. Companies may not include information
pertaining to unrelated company training or simply state that
fraud training is in place.
- External
- Company, Agency, Claims, Underwriting Personnel
- Type, Frequency, Monitoring Procedures
- Internal
- Company, Agency, Claims, Underwriting Personnel
- Type, Frequency, Monitoring Procedures
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