FOCIS (United Kingdom)
Dear Sirs Motor Insurance Directive Please find attached a response by the Forum of Complex Injury Solicitors (FOCIS), which supports retaining a wider interpretation of the Motor Insurance Directive as currently prevails following Vnuk. We also advocate ensuring Guarantee Funds cover the scenario of insolvent insurers and that the unlimited levels of motor insurance that have long-prevailed in the UK become an EC-wide requirement. If you have...
French Insurance Federation (FFA) (France)
Dear Sir / Madam, Please find attached the feedback of the French Insurance Federation (FFA) on the Inception Impact Assessment on the REFIT review of the MID. We remain at your disposal for any further information. Yours sincerely, Stéphane de Maupeou Head of the European Office
Rowan Public Affairs (United Kingdom)
We represent the Motor Cycle Industry Association of Great Britain, the Auto Cycle Union of Great Britain and the Amateur Motor Cycle Association, three bodies with keen interests in motorcycle sport in the UK and beyond. Please see their attached response.
Association of British Insurers (United Kingdom)
Please find attached a submission from the ABI on behalf of the UK Insurance Industry. This response has been prepared jointly by the Association of British Insurers (ABI), Motor Insurers’ Bureau (MIB), British Insurance Brokers’ Association (BIBA), International Underwriting Association of London (IUA), Lloyd’s Market Association (LMA), Lloyd’s, Managing General Agents' Association (MGAA) and the Forum of Insurance Lawyers (FOIL).
Insurance Ireland - Motor Insurers' Bureau of Ireland (Ireland)
COMMENTS OF INSURANCE IRELAND AND THE MOTOR INSURERS’ BUREAU OF IRELAND ON THE EC INCEPTION IMPACT ASSESSMENT ON THE REFIT REVIEW OF THE MOTOR INSURANCE DIRECTIVE Insurance Ireland(II) and the Motor Insurers’ Bureau of Ireland(MIBI) welcome the REFIT Review of the Motor Insurance Directive(MID). We believe that the MID has worked well in terms of protecting road users across the EU. Our specific comments at this stage on the Inception Impact...
The Pan-European Organisation of Personal Injury Lawyers - PEOPIL (United Kingdom)
Dear Sirs, Please find attached an initial response by the Pan-European Organisation of Personal Injury Lawyers to the European Commission's inception impact assessment on the REFIT Review of the Motor Insurance Directive. The Pan European Organisation of Personal Injury Lawyers (PEOPIL) was founded in 1996 and formally established as a not-for-profit organisation in 1997 by European lawyers to improve and promote judicial co-operation and...
Department of Transport, Tourism and Sport (Ireland)
Please see attached letter in relation to the Commission's proposed REFIT of the Motor Insurance Directive.
Malta Insurance Association (Malta)
Please refer to the letter attached. Content does not fit the space provided. Thank you, Adrian
Motorsport Industry Association (MIA) (United Kingdom)
The Motorsport Industry Association (MIA) is the only international trade association for all businesses engaged in the business of motorsport. We attach our response to the Inception Impact Assessment of 24/07/2017 in regard to the REFIT review of the 2009 Motor Insurance Directive and the effect of the Vnuk judgment of the Court of Justice for the European Union in 2014. We highlight an unintended consequence of the Vnuk judgment which will...
UK Government (United Kingdom)
I am responding on behalf of the UK Government to the Inception Impact Assessment on the REFIT review of the Motor Insurance Directive. Our fundamental priority for REFIT is correcting the scope of Directive following the Vnuk judgment such that it only applies to motor vehicles used in traffic. The attached response sets out our own findings.