This briefing considers the position of EEA firms who wish to access the UK insurance market post-exit.  It also looks at the impact of Brexit on non-EEA headquartered groups that currently passport into the EEA via a UK subsidiary.

This briefing supplements our previous note "Access to the single market" - an explanation for the (re)insurance sector, which considered Solvency II rules on third country access to the EEA and the role of "equivalence" under Solvency II.


Article tags

Related categories

Key contacts

Sarah Irons photo

Sarah Irons

Knowledge Counsel, London and Latin America Group