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.