ALLEGHANY CORPORATION
1411 Broadway
New York, New York 10018
July 6, 2017
VIA EDGAR
Securities and Exchange Commission
Division of Corporation Finance
100 F Street, N.E.
Washington, D.C. 20549
Re: | Alleghany Corporation |
Form 10-K for the Fiscal Year December 31, 2016 |
Filed February 22, 2017 |
File Number: 001-09371 |
To the Staff of the Securities and Exchange Commission:
The following information is provided by Alleghany Corporation (“Alleghany,” “we” or “our”) in response to the comments issued by the staff (the “Staff”) of the Securities and Exchange Commission (the “Commission”), by letter dated June 9, 2017, as a result of the Staff’s review of Alleghany’s Annual Report on Form 10-K for the fiscal year ended December 31, 2016 (the “2016 Form 10-K”), and Alleghany’s response letter dated May 17, 2017 (the “May Response Letter”) to the Staff’s comment letter dated May 3, 2017. For ease of reference, the Staff’s comments are included in bold followed by our responses. Capitalized terms used but not defined herein have the meanings ascribed to them in the 2016 Form 10-K. All references in the following information to page numbers in the 2016 Form 10-K are to pages in the EDGAR version of such document.
In responding to the Staff’s comments, Alleghany acknowledges that it is responsible for the adequacy and accuracy of the disclosure in the 2016 Form 10-K; that Staff comments or changes to disclosure in response to Staff comments do not foreclose the Commission from taking any action with respect to the 2016 Form 10-K; and that Alleghany may not assert Staff comments as a defense in any proceeding initiated by the Commission or any person under the federal securities laws of the United States.
Notes to Consolidated Financial Statements
6. Liability for Loss and LAE
(c) Supplementary Information on Incurred and Paid Loss and LAE Development, page 150
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1. | Refer to your response to our prior comment 4 in our May 3, 2017 letter. We acknowledge your statement that your ability to provide accident year incurred and paid loss and LAE information for each line within reinsurance segment – casualty & other would require significant undue effort. The table on page 3 of your response depicts reinsurance segment – casualty & other into two categories: 1) D&O, E&O, general liability and medical malpractice and 2) all other lines. Each of these categories, as indicated in the table, are material as a percentage of your net loss and LAE reserves as of December 31, 2016, and presumably each category’s net premiums earned and net loss and LAE incurred and paid for the year then ended is material as a percentage of their respective consolidated totals. Information in the table about these two categories suggests that reinsurance segment – casualty & other includes the aggregation of lines that have significantly different settlement durations. In order for us to more fully evaluate the appropriateness of this aggregation including your assertion that the aggregation does not obscure the overall characteristics of the claims liabilities, their reporting patterns, payout patterns or duration presented, and additional disaggregation would not provide an investor with additional insight into your business, please provide us incurred and paid loss and LAE information for each of the two categories identified above similar to what would be required under ASC 944-40-50-4B and 50-4D. |
RESPONSE: For the reasons described in our May Response Letter, further disaggregation of our reinsurance segment – casualty & other would entail a significant project timeline. As such, we will endeavor to reply to the Staff with the requested information by no later than September 15, 2017.
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Please do not hesitate to contact me (212-752-1356) with any further comments or questions you may have.
Very truly yours, |
/s/ John L. Sennott, Jr. |
John L. Sennott, Jr. |
Senior Vice President and chief financial officer |
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