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WHAT HAPPENED TO MY CRC RATES?
(Updated
3/14/03
)
Crop Revenue Coverage (CRC)
rates for 2003 soybeans and corn were changed. In
some cases the rate was increased and in other cases the rate was reduced.
These CRC rate changes are based upon a study from a consulting
group, Risk Management Agency (RMA) analysis and concurrence from the owners
of CRC
and Revenue Assurance (RA).
Rate changes should not
be confused with premium costs per acre changes.
In most cases growers will pay higher premium costs per acre this
year for crop insurance simply because Multiple Peril Crop Insurance based
on Actual Production History (MPCI-APH) and revenue insurance price
elections are higher than they were a year ago.
A year ago the corn and soybean revenue insurance price elections
were $2.32 for corn and $4.50 for soybeans.
This year, in 2003, the corn revenue insurance price elections
increased to $2.42 for corn and $5.26 for soybeans.
The MPCI-APH soybean price elections were $4.92 and $2.00 for corn on
the 2002 crop. For 2003, the
MPCI-APH price elections were increased for corn to $2.20 and soybeans were
increased to $5.30. Because of
the higher price election times the average yield times the coverage
selected by growers the result is higher dollars of coverage per acre and
that will generate a higher premium cost per acre.
The other variable is
the rate per dollar of coverage that is multiplied times the liability or
dollars of coverage to generate the premium cost per acre paid by growers.
Because of the higher price elections that alone will generate higher
premiums.
Those higher revenue
insurance price elections are set by the market and are totally outside the
control of RMA. However, RMA
approved rate changes will also affect premiums paid by growers.
There were significant rate changes made to the CRC insurance
contract and to a lesser extent the RA contract for 2003 corn and soybeans.
Those rate changes made by RMA will have additional impacts on
premiums paid by growers.
2003
Corn Premiums Versus 2002 Corn Premiums.
In order to make comparisons between this years premiums and last
years premiums an example corn farm for
Kansas
and
Nebraska
under dryland and irrigation conditions was
analyzed. The price election
used for MPCI-APH was $2.00 and $2.32 for revenue insurance.
Those 2002 price elections were used to generate 2003 premiums.
This allows one to compare premium costs per acre using the same
dollars of coverage. Recognize
the 2003 higher price elections will also increase premiums but this
analysis used 2002 price elections so that a direct comparison could be made
between 2002 and 2003 grower paid premiums.
In table 1, an example
South Central Nebraska irrigated corn farm was evaluated with 170 bushel APH
and 2002 price elections. At
this particular location notice the MPCI-APH premium rates were reduced by
about 3 percent, while the CRC premiums were increased by 20 to 27 percent.
The rate was calculated
as the total premium divided by total dollars of coverage.
The rate calculation allows one to remove the effect on the premium
from the current higher price election.
Higher price elections reduces the CRC rate, therefore percent change
in rate is lower for CRC using the higher $2.42 2003 CRC price election than
the percent change in 2002 and 2003 premiums based on the 2002 price
election of $2.32. The CRC rates
were increased by 18 to 25 percent.
This South Central
irrigated
Nebraska
corn farm is located where traditionally
loss experience has been good. Many
insurance agents are asking why the rate change?
A dryland corn farm with
a 90 bushel APH located in
Southeast Nebraska
was also analyzed in table 2.
At this location the MPCI-APH rates were not changed while CRC rates
were reduced at the higher coverage levels and increased at the low coverage
levels.
How
do these rates compare with similar locations?
For that question, a North Central Kansas irrigated corn farm was
evaluated to compare with the
Nebraska
irrigated corn farm (table 3).
At this location for 170 bushel irrigated APH and holding price
elections at the same level as 2002, the MPCI-APH rates were not changed.
The CRC premiums were increased by about 20 to 28 percent and rates
were increased by 18 to 26 percent, as was the case for the
Nebraska
irrigated farm.
However, in
Kansas
growers have the alternative to switch to RA
with the Harvest Price Option (RA-HPO) and pay substantially lower premiums.
At 75 percent coverage in 2002, notice the CRC rate was $7.74 and
less expensive than RA-HPO at $8.33. However,
this year RA-HPO is less expensive than the CRC contract.
Therefore, growers will likely switch to the RA-HPO contract rather
than buy a CRC contract and will have nearly the same coverage (table 3).
The “small” rate
increases for the RA contract are caused by increasing the volatility factor
from 0.18 to 0.20. For 2003 RA
did not use a market measure of volatility on corn and soybeans.
This was a one year agreement and presumably future RA rates will be
calculated based on the market determined volatility factor.
If the volatility factor had not changed then the small rate
increases for RA would not have occurred.
It is possible that the volatility factor could be lower next year
and the rates in 2004 will be the same as they were in 2002 for RA-HPO.
A
Northeast Kansas
dryland corn farm was also evaluated to
compare rates with
Southeast Nebraska
(table 4).
At this location, the MPCI-APH rates were not changed.
The lower coverage CRC rates and premiums were increased about 20
percent, but at the upper coverage levels there was either a rate decrease
or only a “small” increase. RA-HPO
rates increased at the 80 and 85 percent coverage levels.
The lower coverage rate increases are caused primarily by changing
the volatility from 0.18 to 0.20. At
this location, RA-HPO is substantially less expensive than the CRC contract.
That would also have been true in 2002 (table 4).
Who
Cares?
The rate increases in
Nebraska
are relevant because in
Nebraska
there are no RA offers.
Therefore, growers who want revenue replacement coverage will have to
buy the CRC contract. However,
in an area that is generally considered to be low risk in
Nebraska
, CRC rates increased by more than 20
percent.
Kansas
growers in low risk areas saw similar rate
increases but
Kansas
growers have the option to switch to RA-HPO.
A year ago in the low risk
Kansas
irrigated areas, CRC was less expensive than
RA-HPO. However, with these rate
changes the RA-HPO will be cheaper than the CRC contract (table 3).
The RA-HPO was always
cheaper in the higher risk dryland growing areas and that will not change in
2003. In
Kansas
and other states with an RA-HPO offer for
2003 corn and soybeans, there should be no CRC contracts sold because in all
cases RA-HPO is less expensive and provides identical coverage on soybeans
and nearly the same coverage on corn. The
only exception is in a few cases CRC is less expensive than RA-HPO under
enterprise units because RA has a different definition for enterprise units.
(If there are exceptions to this rule the author is not aware of them
and if someone should find an exception please send it to me.)
These rate changes did
not apply to the current wheat crop so growers who purchased CRC on fall
wheat may have paid less premium than they would have paid for an equivalent
RA-HPO contract in low risk growing areas.
However, in 2004 the CRC rate changes are expected to apply to wheat.
Wheat contracts sold in the fall of 2003 for 2004 wheat will likely
be cheaper under RA-HPO than CRC.
So
why does
Nebraska
not have the RA offer?
The RA insurance contract is owned by a private insurance company and
therefore it is their decision where to file the RA contract.
However, the rate changes that have been applied to CRC does effect
states like
Nebraska
that do not have the RA offer.
One would expect with these CRC rate changes,
Nebraska
has suffered large insurance underwriting
losses. In order to determine if
that was true, table 5 shows the loss ratios by year for corn in
Kansas
and
Nebraska
. The
loss experience in these tables does not separate irrigated and dryland corn
because the statistics provided on the RMA WEB page does not allow the data
to be sorted by practice.
The loss ratio is
defined as the total indemnity payments divided by the total premium
including the portion paid by the government.
If the loss ratio is less than one then for every dollar paid in
premiums, including the grower paid and government paid premium, growers
collected less than a dollar from indemnity payments, generating an
underwriting gain.
Nebraska
has an underwriting gain of 6 cents on corn
for the years 1989 through 2002 while
Kansas
had an underwriting loss of 29 cents.
Nebraska
corn growers generated a sales weighted
average loss ratio of $0.94 versus a
Kansas
sales weighted average corn loss ratio of
$1.29 (table 5). By contrast the
corn loss ratio in
Texas
was $1.80.
The loss ratios were
also generated for these 4 corn counties in
Nebraska
and
Kansas
(tables 6 and 7).
The loss experience for these 4 counties was listed by year.
The sales weighted average loss ratios for the 14 year period was
also reported. The sales
weighted loss ratio gives greater weight to more recent losses because sales
have been larger in more recent years than in the early years.
The simple average annual loss ratio gives a loss experience based on
the assumption that the losses in those early years would have likely had
the same loss ratio even if the sales volume had been larger.
The average loss ratio is lower for both
Kansas
($1.20) and
Nebraska
($0.87) because it gives less weight to the
2002 losses.
Based on that crop
insurance loss experience for 65% coverages and greater, it is difficult to
understand why irrigated
Nebraska
corn growers would need to suffer
substantial rate increases while states such as
Kansas
and
North Dakota
can simply switch to the RA-HPO contract.
The example irrigated Nebraska corn county (86% of the corn acres are
irrigated) had a sales weighted average loss ratio of $0.40 or a 60 cent
underwriting gain over the most recent 14 years (table 6).
However, this county had its CRC irrigated corn premium rates
increased by 18-25 percent (table 1). While
the example dryland Nebraska corn county (2% of the corn acres are
irrigated) had a sales weighted average loss ratio of $1.19 or a 19 cent
underwriting loss over the most recent 14 years (table 6).
With the underwriting loss growers might expect CRC dryland corn
premium rates to increase but the opposite happened.
Rates at the 80% and 85% coverage levels were cut (table 2).
So why would RMA increase CRC rates in low risk areas and cut rates
in high risk areas that have underwriting losses?
Grain
Sorghum. In
Kansas
and other states there is no RA offer for
grain sorghum. Therefore, some
grain sorghum growers maybe concerned these CRC rate changes may be applied
to their grain sorghum contract.
The CRC grain sorghum
price election was increased from $2.20 in 2002 to $2.30 in 2003.
These increased price elections will increase the grain sorghum
premium cost per acre because of the additional dollars of coverage but the
underlying rate per dollar of coverage was not changed (tables 8 and 9).
However, in the
following years it is expected the new CRC rating method will also be
applied to wheat and grain sorghum. If that is the case, then similar rate
increases on those contracts can be expected.
Does the loss history support this is a different question and one
would need to look at the loss experience for those crops and locations?
Summary
and Rate Relativity.
The loss ratios in the tables are based on the most recent loss
history for corn. Some critics
have argued that this is insufficient data to make any judgment on setting
rates, and I agree with that position.
The RMA WEB based loss data covers only the most recent 14 years
because that is all of the data posted on the WEB page.
RMA is working with loss data from 1975 to 2002.
Also the data posted on the WEB page is not separated by practice,
therefore the corn loss data reported in the paper combines losses form
irrigated and dryland corn. The
loss data also is not separated by RA versus RA-HPO.
The loss data on the WEB does separate IP from indexed IP, which has
very few sales but ignores the separation of the RA contract that has a much
larger market share (and growing) and a larger impact on the cost of the
crop insurance program.
While there is not
sufficient data to set the “absolute” rate, the analysis does raise
questions are the rates relatively correct between products?
RA-HPO in theory should carry a slightly larger premium than CRC
because it has no liability limits. CRC
has a liability limit of a $1.50 corn price increase and decrease.
With no similar limit on the RA contract, if the market were to
become volatile, RA-HPO would clearly pay more than the CRC contract.
However, as has been demonstrated at these two
Kansas
locations RA-HPO premiums are substantially
cheaper than CRC (tables 3 and 4). In
North Dakota
it is even possible to buy an RA-HPO
contract for less money than MPCI-APH contract and yet the RA-HPO contract
also pays more (assuming the same price election for both products).
Clearly that is not reasonable.
The analysis also raises
the question about the direction of the rate changes.
In the low risk areas with good loss experience over the last 14
years, CRC rates were increased by more than 20 percent.
At the same time CRC rates have been cut in areas that have not had
good loss experience over the last 14 years, for example some southeast
Nebraska counties and North Dakota.
The logical question is
how did RMA justify these CRC rate changes?
Many analysts are unable to explain why these CRC rate increases were
justified on a contract that provides less coverage than the RA-HPO in areas
with good underwriting experience (over the recent 14 year period).
Probably the only solution for this issue is to make the RA contract
available for
Nebraska
and other states that currently do not have
the contract, assuming CRC rates are going to be calculated with the new
rating method.
Until the CRC contract
is taken off the market, one would expect these rate differences to continue
to be discussed. In addition,
the revenue products do not meet the risk management needs for all locations
in the country. The perfect
contract probably has not been built for all customers.
One would think rather than providing duplicate products more effort
would be spent to meet the risk management needs of the niche markets that
are not currently covered by the existing set of insurance offers from RMA.
Future products and
market demand for new risk management tools are currently being studied by
RMA. The RMA has contracted a
group of professors to do the analysis.
The study is underway and the author is a part of the team.
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