| Financial Protection with Insurance Table of Contents | |
| Chapter 1: Creating Retirement Protection | 1 | 
| Covid-19 Creates Difficult Economic Times | 1 | 
| Inflation Affects Retirement Vehicles | 2 | 
| Inflation Affects Every Financial Vehicle on Earth | 3 | 
| Utilizing Insurance Products for Growth | 4 | 
| Insufficient Planning Haunts Retirees | 5 | 
| Insurance and Longevity | 6 | 
| Retiring with Insufficient Retirement Funding | 8 | 
| Creating Income During Retirement | 10 | 
| Rising COVID Medical Costs & the Effects on Insurance | 11 | 
| COVID-19 Appears in 2020 Creating Additional Costs | 11 | 
| High Medical Costs in Normal Times | 13 | 
| Long-Term Care Insurance Policies | 18 | 
| Selecting the Appropriate Insurance Policy | 20 | 
| Preserving Retirement Plans | 21 | 
| Debt Can Affect the Purchase of Insurance | 23 | 
| Debt Affects Insurance Rates | 25 | 
| Saving for the Future | 26 | 
| An Aging Nation Impacts Insurance & Governments | 29 | 
| Buying the Right Insurance Products | 33 | 
| Compounding Power is Important | 35 | 
| Retirement Income | 35 | 
| Social Security Benefits/Age of Collection | 36 | 
| Supplementing Income with Annuities & Personal Savings | 37 | 
| Women Live Poorer in Retirement than Men | 37 | 
| Primary Insurance Amount (PIA) | 39 | 
| PIA Definition | 39 | 
| PIA Formula Bend Points | 39 | 
| Benefit Based on PIA and Age | 39 | 
| Average Indexed Monthly Earnings | 39 | 
| Summary | 40 | 
| Monthly Benefit Amounts | 40 | 
| Old Computing Methods | 41 | 
| Average Indexed Monthly Earnings | 41 | 
| Indexing Yearly Income | 41 | 
| Computation | 41 | 
| Supplementing Employer Pension Benefits | 42 | 
| Tax Deferred Retirement Benefits | 43 | 
| Individual Savings | 43 | 
| Managing Income in Retirement | 44 | 
| Pre-Retirement Income | 44 | 
| Retirement Shortfalls | 45 | 
| Getting a Return on Savings | 47 | 
| Receiving Income from Investment Vehicles | 49 | 
| Taxation on IRA’s, Annuities and More | 49 | 
| Withdrawals Prior to Age 59 ½ | 50 | 
| The Age 55 Penalty Exception | 50 | 
| The Five-Year Rule for 72(t) Payments | 51 | 
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| Chapter 2: The SECURE Act Apply to Insurance Producers | 52 | 
| SECURE 2.0 Act of 2022 | 57 | 
| Public Law 116-124 | 57 | 
| H.R. 1994 AN ACT | 59 | 
| SEC 1 Short Title, Etc. | 59 | 
| Title I: Expanding Coverage and Increasing Retirement Savings | 59 | 
| SEC 101 Expanding automatic enrollment in retirement plans | 60 | 
| SEC 102 Increase In 10% Cap | 66 | 
| SEC 103 Rules Relating to Election | 66 | 
| SEC 104 Increase in Credit Limitation | 69 | 
| SEC 105 Small Employer Auto Enroll Credit | 69 | 
| SEC 45T Auto-Enroll Option | 69 | 
| SEC 106 Multiple employer 403(b) plans | 70 | 
| SEC 107 Repeal of Maximum Age for IRA | 71 | 
| SEC 108 Indexing IRA catch-up limit | 72 | 
| SEC 109 Higher catch-up limit to apply | 72 | 
| SEC 110 Treatment of student loan payments as elective deferrals for purposes of matching contributions | 72 | 
| SEC 111 Application of credit for small employer pension plan startup costs to employers which join an existing plan | 73 | 
| SEC 112 Qualified Cash or Deferred | 74 | 
| SEC 113 Penalty-Free Withdrawals | 76 | 
| SEC 114 Deferral of tax for certain sales of employer stock to employee stock ownership plan sponsored by S Corporation | 79 | 
| SEC 115 Withdrawals for certain emergency expenses | 79 | 
| SEC 116 Allow additional nonelective contributions to SIMPLE plans | 79 | 
| SEC 117 Contribution limit for SIMPLE plans | 79 | 
| SEC 118 Tax Treatment of nontrade or business SEP contributions | 80 | 
| SEC 119 Application of section 415 limit for certain employees of rural electric cooperatives | 80 | 
| SEC 120 Exemption for certain automatic portability transactions | 80 | 
| SEC 121 Starter 401(k) plans for employers with no retirement plan | 81 | 
| SEC 122 Assist States in locating owners of applicable savings bonds | 81 | 
| SEC 123 Certain securities treated as publicly traded in case of employee stock ownership plans | 81 | 
| SEC 124 Modification of age requirement for qualifies ABLE programs | 82 | 
| SEC 125 Improving coverage for part-time workers | 
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| SEC 126 Special rules for certain distributions from long-term qualifies tuition programs to Roth IRAs | 82 | 
| SEC 127 Emergency savings accounts linked to individual account plans | 83 | 
| SEC 128 Enhancement of 403(b) plans | 84 | 
| Title II: Preservation of Income | 84 | 
| SEC 201 Remove required minimum distribution barriers of life annuities | 84 | 
| SEC 202 Qualifying longevity annuity contracts | 85 | 
| SEC 203 Insurance-dedicated exchange-traded funds | 85 | 
| SEC 204 Eliminating a penalty on partial annuitization | 86 | 
| Title III: Simplification and Clarification of Retirement Plan Rules | 86 | 
| SEC 301 Recovery of retirement plan overpayments | 86 | 
| SEC 302 Reduction in excise tax on certain accumulations in qualified retirement plans | 86 | 
| SEC 303 Retirement savings lost and found | 87 | 
| SEC 304 Updating dollar limit for mandatory distributions | 87 | 
| SEC 305 Expansion of Employee Plans Compliance Resolution System | 87 | 
| SEC 306 Eliminates the “first day of the month” requirement for governmental section 457(b) plans | 88 | 
| SEC 307 One-time election for qualified charitable distribution to split-interest entity; increase in qualified charitable distribution limitation | 88 | 
| SEC 308 Distribution to firefighters | 88 | 
| SEC 309 Exclusion of certain disability-related first responder treatment payments | 88 | 
| SEC 310 Application of top-heavy rules to defined contribution plans covering excludable employees | 89 | 
| SEC 311Repayment of qualified birth or adoption distribution limited to 3 years | 89 | 
| SEC 312 Employer may rely on employee certifying that deemed hardship distribution conditions are met | 90 | 
| SEC 313 Individual retirement plan statute of limitations for excise tax on excess contributions and certain accumulations | 90 | 
| SEC 314 Penalty-free withdrawal from retirement plans for individual case of domestic abuse | 90 | 
| SEC 315 Reform of family attribution rule | 91 | 
| SEC 316 Amendments to increase benefit accruals under plan for previous plan year allowed until employer tax return due date | 91 | 
| SEC 317 Retroactive first year elective deferrals for sole proprietors | 91 | 
| SEC 318 Performance benchmarks for asset allocation funds | 91 | 
| SEC 319 Review, and report to Congress relating to reporting and disclosure requirements | 92 | 
| SEC 320 Eliminating unnecessary plan requirements related to unenrolled participants | 92 | 
| SEC 321 Review of pension risk transfer interpretive bulletin | 93 | 
| SEC 322 Tax treatment of IRA involved in a prohibited transaction | 93 | 
| SEC 323 Clarification of substantially equal periodic payment rule | 93 | 
| SEC 324 Treasury guidance on rollovers | 93 | 
| SEC 325 Roth plan distribution rules | 93 | 
| SEC 326 Exception to penalty on early distributions from qualified plans for individuals with a terminal illness | 94 | 
| SEC 327 Surviving spouse election to be treated as employee | 94 | 
| SEC 328 Repeal of direct payment requirement on exclusion from gross income of distributions from governmental plans for health and long-term care insurance | 94 | 
| SEC 329 Modification of eligible age for exemption from early withdrawal penalty | 94 | 
| SEC 330 Exemption from early withdrawal penalty for certain state and local government corrections employees | 95 | 
| SEC 331 Special rules for use of retirement funds in connection with qualified federally declared disasters | 95 | 
| SEC 332 Employers allowed to replace SIMPLE retirement accounts with safe harbor 401(k) plans during a year | 95 | 
| SEC 333 Elimination of additional tax on corrective distributions of excess contributions | 95 | 
| SEC334 Long-term Care contracts purchased with retirement plan distributions | 96 | 
| SEC 335 Corrections of mortality tables | 96 | 
| SEC 336 Report to Congress on section 402(f) notices | 96 | 
| SEC 337 Modification of required minimum distribution rules for special needs trust | 96 | 
| SEC 338 Requirement to provide paper statements in certain cases | 96 | 
| SEC 339 Recognition of tribal government domestic relations orders | 97 | 
| SEC 340 Defined contribution plan fee disclosure improvements | 97 | 
| SEC 341 Consolidation of defined contribution plan notices | 97 | 
| SEC 342 Information needed for Financial Options Risk Mitigation Act | 97 | 
| SEC 343 Defined benefit annual funding notices | 98 | 
| SEC 344 Report on pooled employer plans | 98 | 
| SEC 345 Annual audits for group of plans | 98 | 
| SEC 346 Worker Ownership, Readiness, and Knowledge (WORK) act | 98 | 
| SEC 347 Report by the Secretary of Labor on the impact of inflation on retirement savings | 98 | 
| SEC 348 Cash balance | 99 | 
| SEC 349 Termination of variable rate premium indexing | 99 | 
| SEC 350 Safe harbor for corrections of employee elective deferral failures | 99 | 
| Title IV: Technical Amendments | 100 | 
| Title V: Administrative Provisions | 100 | 
| Title VI: Revenue Provisions | 100 | 
| SEC 601 SIMPLE and SEP Roth IRAs | 100 | 
| SEC 602 Hardship withdrawal rules for 403(b) plans | 100 | 
| SEC 603 Elective deferrals generally limited to regular contribution limit | 101 | 
| SEC 604 Optional treatment of employer matching or nonelective contributions as Roth contributions | 101 | 
| SEC 605 Charitable conservation easements | 101 | 
| SEC 606 Enhancing retiree health benefits in pension plans | 102 | 
| Title VII Tax Court Retirement Provisions | 102 | 
| SEC 701 Provisions relating to judges of the Tax Course | 102 | 
| SEC 702 Provisions relating to special trial judges of the Tax Course | 102 | 
| Editor’s Observations | 103 | 
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| Chapter 3: Life Insurance | 107 | 
| Policy Provisions | 108 | 
| Defining the Contract | 108 | 
| Policy Application | 109 | 
| Policy Ownership | 110 | 
| Preventing Money Laundering Activities | 110 | 
| Terrorism Produces Insurer Risk | 110 | 
| Financial Action Task Force (FATF) | 111 | 
| Legal Requirements Adopted | 112 | 
| The USA Patriot Act | 112 | 
| Broker-Dealer Requirements | 114 | 
| AML Program Requirements | 115 | 
| Know Your Customer (KYC) | 118 | 
| Compliance | 118 | 
| Suspicious Activity Reports Filing Requirements | 118 | 
| A Change in Thinking | 119 | 
| A Global Problem | 120 | 
| Covered Products | 122 | 
| Nine Identified Money Laundering (ML) Methods | 123 | 
| 1. Single Premium Life Insurance Contracts | 123 | 
| 2. Early Policy Redemption | 124 | 
| 3. Claim Fraud | 124 | 
| 4. Cash Premium Payments | 124 | 
| 5. “Free Look” Periods | 124 | 
| Example | 125 | 
| 6. Collusion | 125 | 
| 7. Third-Party Premium Payments | 125 | 
| 8. Risks Involved in International Transactions | 125 | 
| 9. Fraudulent Customers | 126 | 
| Money Laundering Indicators Not Unique to Insurance Products | 126 | 
| 1. Large One-Off Cash Transactions | 126 | 
| 2. Use of False Addresses | 126 | 
| 3. Overseas Business from Higher Risk Area | 127 | 
| Policyholder Characteristics and Behaviors | 127 | 
| A Known Criminal or Criminal Associate or Relative | 129 | 
| Erratic or Abnormal Use of Policies | 129 | 
| High Premiums Compared to Verifiable Income | 129 | 
| Lack of Concern for Charges or Costs | 130 | 
| Undue Interest in Payout Options | 130 | 
| Change of Beneficiary | 130 | 
| Insurance on Assets Inconsistent with Income | 130 | 
| Early of Suspicions Claims | 131 | 
| Product Characteristics and Maintenance | 132 | 
| 1. Policy Payments from Third Parties | 133 | 
| 2. Multiple Sources of Funds to Pay Premiums | 133 | 
| 3. Significant Premium Top-Ups to a Policy | 133 | 
| 4. Overpayment of Premium | 133 | 
| 5. Using an Insurer like a Bank | 133 | 
| 6. Early Redemption | 134 | 
| 7. Unusually High Commission Charges | 134 | 
| Customer Due Diligence (CDD) | 134 | 
| Policy Features and Provisions | 136 | 
| Premiums | 137 | 
| Policy Options | 137 | 
| Nonforfeiture Options | 137 | 
| Dividend Options | 138 | 
| Settlement Options | 138 | 
| State Required Provisions | 140 | 
| Incontestability | 141 | 
| Misstatements in the Application | 141 | 
| Deferment Clause | 142 | 
| Nonforfeiture | 142 | 
| Loan Values | 142 | 
| Grace Periods and Reinstatement | 143 | 
| Allowed Policy Provisions | 144 | 
| Suicide | 144 | 
| Aviation | 144 | 
| War | 144 | 
| General Provisions | 145 | 
| Deduction of Indebtedness | 145 | 
| Change of Beneficiary | 145 | 
| Assignment | 146 | 
| Beneficiary Designation | 146 | 
| Policy Payments | 148 | 
| Cash Values | 148 | 
| Dividends | 149 | 
| Proceeds | 149 | 
| Special Clauses | 150 | 
| Contract Use | 152 | 
| Group Insurance Principles | 152 | 
| Eligible Groups | 152 | 
| Single-Employer Groups | 152 | 
| Multiple Employer Trusts (METS) | 152 | 
| Unions, Association, and Other Groups | 153 | 
| Creditor-Debtor Groups | 153 | 
| Underwriting Advantages | 154 | 
| Keeping Current with Business Needs | 155 | 
| The Informed Consumer | 156 | 
| Providing a Quote | 156 | 
| The Contract Participants | 158 | 
| The Insurer | 158 | 
| The Insured | 158 | 
| Insurance Contract | 159 | 
| Underwriting and Rating | 159 | 
| Finance | 160 | 
| A Public Interest | 160 | 
| Key Person Insurance | 161 | 
| Buy-and-Sell Agreements | 162 | 
| The Key Person Principle | 163 | 
| Insurable Interest for Life Insurance | 163 | 
| Example | 164 | 
| Disability Insurance on Key Employees | 165 | 
| Example | 165 | 
| The Small Company’s Exposure | 167 | 
| Loss of the Small Business Owner | 167 | 
| Planning Ahead for Death or Disability | 171 | 
| Insuring Entities | 171 | 
| Private and Government Insurance | 171 | 
| Private Insurers | 171 | 
| Life Insurance | 172 | 
| Property and Liability Insurance | 173 | 
| Government Insurance | 173 | 
| Voluntary Government Insurance | 173 | 
| Compulsory Government Insurance | 174 | 
| Mutual Companies | 174 | 
| Assessment Mutuals | 175 | 
| Non-assessable Mutuals | 177 | 
| Conversions | 177 | 
| Reciprocal or Inter-Insurer Associations | 178 | 
| Stock and Mutual Underwriting | 179 | 
| Factory Mutuals | 180 | 
| Superior Agents and Brokers | 181 | 
| Chapter 4: Annuities | 184 | 
| Annuity Choices | 184 | 
| Joint and Survivorship Annuities | 184 | 
| Guaranteed and Life-time-certain | 185 | 
| Level Annuities | 185 | 
| Capital-Back Guaranteed Annuities | 185 | 
| Escalating Annuities | 186 | 
| Inflation-Linked Annuities | 186 | 
| Enhanced Annuities | 186 | 
| Annuity History | 187 | 
| Agents Must Understand Terminology | 190 | 
| Annuity Basics | 194 | 
| Choosing Between Fixed and Variable | 195 | 
| Choosing Between a Lifetime and Term | 196 | 
| Company Financial Strength | 198 | 
| Annuity Extras | 198 | 
| Principal Protection | 198 | 
| Cost of Living Protection | 198 | 
| The Ups and Downs of Annuities | 199 | 
| Principle Protection | 199 | 
| Tax Efficiency | 199 | 
| Supplementing Other Retirement Income | 200 | 
| Reasons to Buy an Annuity | 200 | 
| Reasons to Avoid Buying Annuities | 200 | 
| Making the Right Annuity Choices | 201 | 
| Many Annuity Choices | 202 | 
| Annuities for Retirement | 204 | 
| Everyone is Living Longer These Days | 204 | 
| Putting Off Retirement | 205 | 
| Fixed-Rate Annuities | 207 | 
| How Fixed Rate Annuities Work | 207 | 
| Variable Annuities | 209 | 
| Annual Expenses | 210 | 
| Funding Variable Annuities | 210 | 
| Variable Annuity Fees | 211 | 
| Variable Annuity Death Benefit | 211 | 
| Surrender Fees | 211 | 
| Early Withdrawal Penalty | 211 | 
| Taxation | 211 | 
| Equity-Indexed Annuities | 212 | 
| COVID-19 and Annuities | 212 | 
| The Future Outlook | 213 | 
| Insurer Investments were Affected | 214 | 
| Insurance Producers May Struggle | 215 | 
| Assessing COVID-19 Impact | 216 | 
| Financial and Practical Impact on Insurers | 217 | 
| Short and Long-Term Insurance Impacts | 218 | 
| The Life Insurance Industry in America and Around the World | 219 | 
| Underwriting During the Aids Crisis May be Similar | 219 | 
| Non-Health Elements Affecting Policy Underwriting | 219 | 
| Underwriting Life Insurance Products in these COVID-19 Times | 219 | 
| Applications for Annuity and Life Insurance Policies | 221 | 
| Policy Provisions Now Apply to COVID-19 | 223 | 
| Suitability in Annuity Transactions Model Regulation | 224 | 
| Section 1. Purpose | 226 | 
| Section 2. Scope | 227 | 
| Section 3. Authority | 227 | 
| Section 4. Exemptions | 227 | 
| Section 5. Definitions | 228 | 
| Section 6. Duties of Insurers and Producers | 230 | 
| Best Interest Obligations | 230 | 
| Disclosure Obligations | 232 | 
| Conflict of Interest Obligation | 233 | 
| Documentation Obligation | 233 | 
| Application of the Best Interest Obligation | 234 | 
| When Annuity Transactions are Not Based on a Producer’s Recommendation | 234 | 
| Supervision System | 235 | 
| Prohibited Practices | 237 | 
| Safe Harbor | 237 | 
| Section 7. Producer Training | 238 | 
| Section 8. Compliance Mitigation; Penalties; Enforcement | 239 | 
| Section 9. Recordkeeping | 240 | 
| NAIC Model Law Appendix A | 240 | 
| NAIC Model Law Appendix B | 242 | 
| NAIC Model Law Appendix C | 243 | 
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| Chapter 5: Health Insurance | 244 | 
| Adverse Selection in Insurance | 244 | 
| The Potential Future of the Affordable Care Act | 247 | 
| Without Insurance Health Care is Expensive in the U.S. | 248 | 
| Short–Term or Temporary Health Insurance | 252 | 
| Health Insurance Plans Offer Variety | 254 | 
| Manage Care Plans | 254 | 
| Health Maintenance Organizations (HMOs) | 255 | 
| Point-of-Service Plans (POS) | 255 | 
| Preferred Provider Organizations (PPO) | 256 | 
| Catastrophic Coverage | 256 | 
| Health Savings Accounts (HAS) | 257 | 
| Hospital Indemnity Policies | 257 | 
| Critical Illness Insurance | 258 | 
| Cancer Insurance | 259 | 
| Accidental Death and Dismemberment Policies | 259 | 
| Identity Theft Insurance | 260 | 
| Long-Term Care Nursing Home Policies | 261 | 
| Defining Long-Term Care | 263 | 
| Partnership for Long-Term Care Begins | 265 | 
| Partnership Policies Created | 267 | 
| Medicaid is the Largest Nursing Home Payor | 267 | 
| DRA of 2005 Provides Asset Protection | 268 | 
| Agent and Consumer Education | 269 | 
| Policy Benefits | 269 | 
| Inflation Protection | 269 | 
| Program Benefits | 270 | 
| Making Benefit Choices | 270 | 
| Daily Benefit Options | 272 | 
| Determining Benefit Length | 273 | 
| Policy Structure | 273 | 
| Home Care Options | 273 | 
| Simple and Compound Protection | 274 | 
| Required Rejection Form | 274 | 
| Elimination Periods in LTC Policies | 274 | 
| Policy Type | 275 | 
| Restoration of Policy Benefits | 275 | 
| Preexisting Periods in Policies | 275 | 
| Deciding Between Policy Types | 276 | 
| Nonforfeiture Values | 277 | 
| Waiver of Premium | 277 | 
| Unintentional Lapse of Policy | 278 | 
| Policy Renewal Features | 278 | 
| Items Not Covered by the LTC Policy | 279 | 
| Extension of Benefits | 279 | 
| Affordability Contracts | 279 | 
| Standardized Definitions | 280 | 
| Minimum Partnership Requirements | 280 | 
| Benefit Duplication | 280 | 
| Partnership Publication | 280 | 
| Truly a Partnership | 281 | 
| Saving Assets from Medicaid Qualification | 282 | 
| Accessing Policy Benefits | 283 | 
| Asset Repositioning | 285 | 
| Partnership Participation Does Not Guarantee Medicaid Qualification | 286 | 
| Policy Considerations for Non-Partnership Traditional LTC Policies | 286 | 
| Underwriting for Policy Issue | 287 | 
| NAIC Model Regulations | 288 | 
| Partnership Plans Protect Assets, Not Income | 289 | 
| Application Age Affects Cost | 289 | 
| Reducing Benefits to Save Premium | 290 | 
| Example | 291 | 
| Policy Renewal | 291 | 
| Policy Review: 30-Day “Free Look” | 291 | 
| “Notice to Buyer” | 292 | 
| Policy Schedule | 292 | 
| Policy Terminology | 293 | 
| Elimination Periods in Policies | 297 | 
| Policy Termination | 297 | 
| Mental Impairments of Organic Origin | 297 | 
| Hospitalization Requirements | 298 | 
| Home and Community-Based Benefits | 298 | 
| Bed Reservation Benefit | 299 | 
| Waiver of Premium | 299 | 
| Selecting Other Types of Care | 300 | 
| No Policy Covers Everything | 300 | 
| Age Misstatement | 301 | 
| Third-Party Notification | 302 | 
| Reinstatement of a Lapsed Policy | 302 | 
| Section 6021: Expansion of State LTC Partnership Program | 303 | 
| NAIC 2000 Model Act | 305 | 
| “Level Premium” Does Not Mean Unchanging Rates | 306 | 
| Financial Requirements for Rate Increases | 307 | 
| Rate Certification from the Insurer’s actuary | 307 | 
| Consumer Disclosure | 307 | 
| LTC Personal Worksheet | 307 | 
| Determining Policy Suitability | 308 | 
| Consumer Publications | 308 | 
| Post Claim Underwriting | 309 | 
| Tax-Qualified Policy Statement | 309 | 
| Replacement Notices | 310 | 
| Policy Conversion | 310 | 
| An Overview | 310 | 
| The Model Act Applies to All | 311 | 
| Policy Renewable Provisions | 312 | 
| Payment Standards Must be Defined | 312 | 
| Preexisting Standards | 312 | 
| Policy Type Must Be Identified | 312 | 
| Activities of Daily Living (ADL) | 312 | 
| Life Insurance Policies with Accelerated Benefits | 313 | 
| Nonforfeiture Provisions | 313 | 
| Extension of Benefits | 313 | 
| Home Health & Community Care | 314 | 
| Additional Provisions for Group Policies | 314 | 
| Outline of Coverage | 314 | 
| Policy Delivery | 314 | 
| No Field Issued LTC Policies | 314 | 
| Policy Advertising and Marketing | 315 | 
| Prominent Statement Required Regarding Claims Not Covered | 315 | 
| Prior to the Sale | 315 | 
| Twisting and High-Pressure Tactics: Simply Illegal | 316 | 
| Association Marketing | 316 | 
| Following the Sale | 316 | 
| Failure to Pay Premiums | 317 | 
| In Conclusion | 317 | 
| A Few Unusual Policies | 318 | 
| Riot Insurance | 318 | 
| Fantasy Football Insurance | 318 | 
| Athlete Loss-of-Value Insurance | 318 | 
| Hole-in-One Price Insurance | 318 | 
| Body-Part Insurance | 319 | 
| Paranormal Insurance | 319 | 
| Death-by-Laughter Insurance | 319 | 
| Change-of-Heart Insurance | 319 | 
| Lottery Insurance | 319 | 
| Kidnapping & Ransom Insurance | 320 | 
| Key Person or Essential Employee Insurance | 320 | 
| Multiple-Birth Insurance | 320 | 
| Bicycle Insurance | 320 | 
| Surety Bond & Insurance | 320 | 
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| Chapter 6: Insurance Ethics | 322 | 
| What Ethical Agents Know | 322 | 
| Insurance Perceptions | 322 | 
| Establishing Ethical Goals | 324 | 
| Example | 327 | 
| Why be Ethical? | 328 | 
| Following the Law | 328 | 
| Ethics in the Workplace | 329 | 
| Ethics Are the Same Regardless of the Name Used | 330 | 
| Understanding How the Past Affects the Future | 332 | 
| Companies Set Ethical Guidelines | 337 | 
| Examples | 341 | 
| Promoting Ethical Behavior | 341 | 
| An Ethical Theory: Egoism | 344 | 
| Is It Possible to Teach Ethical Behavior to Other People? | 345 | 
| What is The Scope of Ethics? | 345 | 
| What Does it Take to be A Moral Person? | 347 | 
| What Quality of Work Does the Individual Want to Perform? | 348 | 
| What is The Legacy Desired? | 348 | 
| Who Determines Ethics? | 349 | 
| Example #1 | 350 | 
| Example #2 | 351 | 
| What Are An Individual’s Responsibilities to Other Moral People? | 351 | 
| The Theory of Objectivist Ethics | 354 | 
| Holding an Ethical Code | 355 | 
| Example | 356 | 
| Sympathy/Empathy | 361 | 
| Looking Professional | 362 | 
| Courtesy | 362 | 
| Mores | 363 | 
| Measuring the Ethical Values of Others | 367 | 
| General Education and State Mandated CE | 368 | 
| Getting Education in a Timely Manner | 370 | 
| Laying Out Policy Benefits and Limitations | 372 | 
| Policy Replacement | 375 | 
| When the Agent Allows Misconceptions | 377 | 
| When the Premiums Seem too High to the Client | 378 | 
| Obtaining Proper Application Signatures | 378 | 
| Keeping in Touch After the Sale | 379 | 
| Selling the “Fast Buck” Items | 380 | 
| Commingling Funds | 381 | 
| Professional Investment Advisors | 381 | 
| Preparing for Tomorrow | 382 | 
| Fixed and Variable Income | 382 | 
| Financial Management | 383 | 
| Due Diligence | 384 | 
| Due Diligence Technical Versus Common-Sense Approach | 387 | 
| Telling the Truth Requires Responsibility and Accountability | 393 | 
| Selecting Insurers to Represent | 403 | 
| Does Legal Also Mean Ethical? | 403 | 
| Last Page | 406 | 
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United Insurance Educators, Inc.
PO Box 1030
Eatonville, WA 98328