Ontario’s Business Sector Strategy

One of the ways Open for Business (OFB) is implementing a new relationship with business is through the Ontario Business Sector Strategy, which establishes an open dialogue and collaborative relationship between government and key business stakeholders.

Under the strategy, representatives are asked to identify five priorities that would strengthen their sector’s success. The sector’s priorities need to be under provincial jurisdiction, have no fiscal impact and can be implemented in the short term.

Ministries have two months to address these priorities, or explain why they cannot be addressed and deliver alternative solutions. This joint understanding of priorities allows government and the business sector to work together more effectively to generate economic growth, create jobs for Ontario families, and protect the public interest.

Open for Business is responsible for working with ministries to ensure progress and resolution of each sector’s issues within appropriate timelines.

Financial Services Sector

The financial services sector is one of the largest economic contributors to the country, province, and city of Toronto, contributing approximately 20% to the city’s gross domestic product (GDP) accounting for 370,000 direct jobs in Ontario. Toronto is the second largest financial sector in North America by direct employment and the financial services sector is one of the largest contributors to Ontario’s GDP.

Toronto is quickly becoming a prominent global financial services centre. The city is now in the top ten in the rankings of global financial services centres as determined by both The Banker and the Global Financial Centre’s Index. The financial services sector currently boasts several strengths:

  • Canada’s banks have been ranked as the ‘soundest banking system in the world’ by the World Economic Forum for the 5th year in a row;
  • Ontario is home to two of the largest global life insurers;
  • The Toronto Stock Exchange is ranked #1 in global metals and mining, energy and clean technology listings; and
  • Toronto ranks as one of the top cities globally for Assets under Management.

For the purposes of this initiative, the financial services sector was represented by the Toronto Financial Services Alliance (TFSA). The TFSA is a unique, public-private partnership dedicated to growing the Toronto region’s financial services cluster and building it as a “top ten” global financial services centre. Established in 2001, TFSA is a collaboration involving three levels of government, the financial services industry and academia.

Working collaboratively with industry and government, TFSA builds international awareness of the advantages offered by the Toronto region and works with financial services companies from around the world that are exploring business opportunities in Toronto.

The Financial Services Sector and Ontario’s Business Sector Strategy

The financial services sector strategy roundtable kicked off on October 15, 2012 at the Ontario Investment and Trade Centre. The roundtable brought together members from Toronto’s financial services industry, senior political staff, assistant deputy ministers, deputy ministers and staff from the Ministry of Finance, Ministry of Economic Development and Innovation and the Financial Services Commission of Ontario. In his opening remarks, Minister Brad Duguid emphasized the importance of the financial services sector for the Ontario economy and the need for a strong relationship with government to help grow this sector and make it a global leader. The Minister along with all government representatives discussed the five priorities put forth by the TFSA with enthusiasm and committed to find a workable solution within 60 days.

On December 18, 2012 Minister Duguid, representatives from the TFSA and members of the government came back together to discuss the work that had taken place over the preceding two months. Janet Ecker, TFSA President and CEO responded that “The results put forward by the government show a commitment from the province in growing our financial services industry. The results of this roundtable will strengthen the ongoing relationship between our sector and the government.”

TFSA’s Five Priorities: Executive Summary

TFSA’s Five Priorities

Priority 1: Ontario Forum for Financial Services Sector Engagement

Currently, there is no regular forum where Ontario’s financial sector organizations, Ministry of Finance officials, and regulators (such as the Ontario Securities Commission (OSC), Investment Industry Regulatory Organization of Canada (IIROC), Mutual Funds Dealers Association (MFDA) and others) regularly meet for the purpose of identifying barriers to the sector’s growth and opportunities to support Ontario’s economy. The TFSA would like to see a semi-annual roundtable convened with Ministry officials, regulators, and representatives of the financial services sector.

Priority 2: Positioning Toronto as the North American Hub for Alternative Financing

Alternative (Islamic) financing represents a significant opportunity for Canada’s financial sector. The TFSA recommends that the Ontario government create a level playing field in Ontario between conventional financing and alternative financing by agreeing to review Ontario statutes and then amend them to eliminate differential treatment. The TFSA also recommends that the Ontario government establish a joint working group with the federal government to create a federal level playing field for alternative finance in respect of taxation.

Priority 3: Establishing an Ontario International Marketing Centre in South America

South America is emerging as a key global marketplace where many Ontario based companies have a presence in the region. With International Marketing Centres (IMC) located around the world, Ontario has no presence in South America. The TFSA is recommending that the Ontario government establish an International Marketing Centre in Brazil or one of the other major South American markets.

Priority 4: Definition of Catastrophic Impairment

There is an urgent need to clarify and simplify the definition of catastrophic impairment (CAT). The current catastrophic impairment definition is more than 30 years old. It is complicated, difficult to interpret and leads to huge transaction costs as claimants and insurers litigate the meaning of the definition. The government should expedite the implementation of the Expert Panel’s recommendations for a revised catastrophic impairment definition.

Priority 5: Mediation and Arbitration System at Financial Services Commission of Ontario (FSCO)

The Financial Services Commission of Ontario’s mediation and arbitration processes were established to help to resolve disputes between insurance companies and claimants. Currently there is a backlog of mediations in excess of 30,000 cases. Many of the disputes in this backlog relate to issues that should not be part of the mandatory mediation process. TFSA recommends that the government undertake immediate improvements to the service level under the current system and commence a reform of the mediation and arbitration system by:

  • Enlisting private resources for ADR services;
  • Creating a Medical Expert panel;
  • Creating rules for the interpretation and application of the Statutory Accident Benefits System (SABS);
  • Creating a consolidated appeal route; and
  • Reforming various procedural deficiencies in the process.

Government Response to TFSA’s Five Priorities: Executive Summary

Priority 1: Ontario Forum for Financial Services Sector Engagement

The government, working in partnership with the TFSA, committed to establish the Ontario Forum for Financial Services Engagement. This forum will bring together representatives of several different associations and enterprises from across the financial services industry and will take place at least once a year starting in 2013.

Priority 2: Positioning Toronto as the North American Hub for Alternative Financing

Ontario is committed to supporting the continued growth of Ontario’s financial services sector. Alternative financing has the potential to be a growing and important sector in the Ontario economy. The Ministry of Finance agrees to participate in any potential working group led by the federal government to review tax and regulatory issues related to alternative financing with the goal of developing a feasible, cost effective package of potential federal and provincial legislative and regulatory amendments that subject to federal-Ontario approval, would: result in alternative financing having similar tax and regulatory treatment to conventional financing; and be based on fiscal neutrality for the province, tax neutrality, the integrity of the tax and regulatory systems, economic growth and consumer protection.

Priority 3: Establishing an Ontario International Marketing Centre in South America

The Ontario Government has committed to opening an International Marketing Centre in São Paolo, Brazil. Pending the successful signing of a Memorandum of Understanding with the federal government, it is expected that the International Marketing Centre will open by late summer 2013. Financial services, being an important component of the Ontario economy, was identified as a priority sector for both trade and investment activities for the International Marketing Centre.

Priority 4: Definition of Catastrophic Impairment

In line with the 2012 Ontario Budget commitment to “move forward to propose regulatory amendments in this area,” the Ministry of Finance will invite key auto insurance stakeholders to participate in a Stakeholder Roundtable on Catastrophic Impairment Report Recommendations in spring 2013. Invitees will include insurers, health care associations, scientists and medical experts (possibly including members of the Catastrophic Impairment Expert Panel) and legal professionals.

Priority 5: Mediation and Arbitration System at Financial Services Commission of Ontario (FSCO)

Ontario will continue its work to move forward with initiatives to reduce the backlog of mediation cases and improve the mediation and arbitration system at FSCO, including a review of the dispute resolution system as committed to in the 2012 Ontario Budget. The use of a private sector dispute resolution services provider and, operational improvements to the dispute resolution system have already led to an increase of closed mediations by over 11,000 cases and a decrease in open pending cases by almost 2,000 from November 2011 to October 2012.

Priority 1

Ontario Forum for Financial Services Sector Engagement

Currently, there is no regular forum where Ontario’s financial sector organizations, Ministry of Finance officials, and regulators such as the Ontario Securities Commission (OSC), Investment Industry Regulatory Organization of Canada (IIROC), Mutual Funds Dealers Association (MFDA) and others, regularly meet for the purpose of identifying barriers to the sector’s growth and opportunities to support Ontario’s economy. This level of discussion occurs regularly at the federal level for banking, insurance and credit unions. It also occurs at the provincial level for credit unions and insurance. It benefits the industry, government policy makers and regulators as there is a continuous flow of business information and economic data to effectively inform discussion of policy options and draft rules that may be published for public comment or to discuss steps that could be taken to help grow the Ontario economy.

An exchange of information and perspectives is important to achieve objectives of legislation underpinning the financial services sector. For instance, section 2.1 of the Securities Act (Ontario), principle 6, states that “business and regulatory costs and other restrictions on the business and investment activities of market participants should be proportionate to the significance of the regulatory objectives sought to be realized.”

There are a number of issues to be commented on and topics to be discussed. While not everything can be accomplished in year one, the purpose of this priority is to set up a continuous conversation. The Forum would focus on broad policy issues that impact the industry’s capacity to generate economic growth. Some examples of topics for inclusion in the first year of consultation include industry briefings on the current state of the industry, emerging trends, and developments on the international front that are becoming drivers in the Canadian context.

TFSA Recommendation: Convene a roundtable as a forum with Ministry officials, regulators, and representatives of financial services sector enterprises to share information and research on the business opportunities, challenges, and forces shaping the sector, and the broader economy that the sector supports, as well as to explore potential public policy responses to optimize benefits for everyone.

Government Response
(Lead: Ministry of Finance)

During the two-month timeframe, the Ministry of Finance has worked with the TFSA to develop the Ontario Forum for Financial Services Engagement. This forum will bring together several different representatives of associations and enterprises from across the financial services industry and will take place at least once a year starting in 2013. The focus of discussion will include broad policy issues designed to generate economic growth, enhance Toronto’s status as a leading financial services centre, promote financial literacy and protect consumers. The purpose of the first meeting will be for attendees to share information on the current state of the industry, emerging trends and critical issues.

The Ontario Forum for Financial Services Engagement offers tremendous mutual benefits to the financial services sector, government policy makers and regulators and the broader Ontario economy. It provides a structured forum for all parties where, on a regular basis, business and economic challenges can be discussed and work can be undertaken together towards finding solutions.

In addition to producing tangible results for the financial services sector, the Ontario Forum for Financial Services Engagement symbolizes and demonstrates Ontario’s commitment to an open, responsive, and collaborative relationship. As noted at the closing roundtable, Minister Duguid identified that “the results of this roundtable will have a meaningful and lasting benefit.” With the sector contributing approximately 20% to Toronto’s GDP alone, maintaining this important dialogue is critical for a successful and prosperous industry that can contribute in important ways to both the financing and financial security for Ontarians and Ontario businesses.

Priority 2

Positioning Toronto as the North American Hub for Alternative Financing

Alternative (Islamic) financing represents a significant opportunity for Canada’s financial sector, as Islamic banking assets have reached US$1.1 trillion in 2012, a significant jump of 33% from their 2010 level.

Other Western jurisdictions, including the U.K., Ireland, France, Singapore and Australia have taken steps or are in the process of making changes to their respective legislative and/or regulatory frameworks to create a level playing field between conventional and alternative finance.

In 2010, the TFSA created an Islamic Finance Working Group (IFWG) and the IFWG has done some of the initial policy work to identify issues and options to level the playing field with conventional finance. Alternative financing offers many potential benefits to Ontario’s financial services sector. There are opportunities to attract investments to Canada from the Middle East and other parts of the world, where alternative financing is a growing reality. Alternative financing is a potential new source of debt financing for borrowers. As well, foreign direct investment in the alternative financing industry in Ontario could lead to job creation in the province.

It is Standard and Poor’s expectation that the $1 trillion global alternative (Islamic) financing industry will grow 20% annually to over $2 trillion by 2015, doubling in size over 2011 to 2015 (Gulfnews, September 21, 2012). In fact, financial centres across the globe are vying to become “domiciles of choice” for Islamic funds, and Toronto has the opportunity to become the North American hub for alternative financing.

TFSA Recommendations:

  • Create a level playing field in Ontario between conventional financing and alternative (Islamic) financing by agreeing to review Ontario statutes and then amend them to eliminate differential treatment.
  • Create a joint working group with the federal government to create a federal level playing field for alternative (Islamic) financing in respect of taxation.

Government Response
(Lead: Ministry of Finance)

Ontario is committed to supporting the continued growth of Ontario’s financial services sector. Alternative financing has the potential to be a growing and important sector in the Ontario economy. The TFSA Islamic Finance Working Group (IFWG) identified certain areas where the tax treatment of alternative finance differs from the tax treatment of conventional financing. Many of the IFWG’s requests are complex and cannot be solved with simple regulatory changes.

The tax and regulatory issues are interconnected in many ways, and many issues are outside the control of the provincial government or must be considered in the context of Ontario’s commitments to other jurisdictions. The Ministry of Finance agrees to participate in any potential working group led by the federal government to review tax and regulatory issues related to alternative financing with the goal of developing a feasible, cost- effective package of potential federal and provincial legislative and regulatory amendments that, subject to federal-Ontario approval, would:

  • Result in alternative financing having similar tax and regulatory treatment to conventional financing; and
  • Be based on fiscal neutrality for the province, tax neutrality, the integrity of the tax and regulatory systems, economic growth and consumer protection.

Priority 3

Establishing an Ontario International Marketing Centre in South America

South America is emerging as a key global market. The 200 main cities in Latin America will account for 315 million residents by the year 2025, a population greater than the United States’ population today. This urban population growth will result in 50 million people entering the Latin American labour force by 2025, which exceeds France’s current economically active population.

Ontario currently has International Marketing Centres in Beijing, London, Los Angeles, Mexico, Munich, New Delhi, New York, Paris, Shanghai and Tokyo but is absent from South America. Citing the growing importance of South America in the global marketplace, many financial services companies based in Ontario already have a presence in the region. These companies would benefit from the creation and ongoing support of an International Marketing Centre.

In addition to helping the financial services sector, an International Marketing Centre in South America would also help various other sectors in the Ontario economy.

TFSA Recommendation: The Ontario government should establish an Ontario International Marketing Centre in Brazil or one of the other major South American markets.

Government Response
(Lead: Ministry of Economic Development and Innovation)

Ontario is actively pursuing this priority recommendation and is making progress toward the establishment of an International Marketing Centre in São Paulo, the commercial centre of Brazil. A cross-ministry advisory group was formed to recommend priority activities and sectors for the new International Marketing Centre. Financial services, being an important component of the Ontario economy, was identified as a priority sector for both trade and investment activities for the International Marketing Centre.

Ontario is pursuing a Memorandum of Understanding with Canada’s Department of Foreign Affairs and International Trade for co-location within the Consulate General of Canada in São Paulo. Assuming a successful Memorandum of Understanding negotiation, it is expected that the International Marketing Centre would be operational by late summer 2013.

The establishment of an International Marketing Centre in Brazil offers several benefits to the financial services sector. It will create an opportunity for global expansion and market diversification of Ontario financial businesses such as banks, insurance companies, the Toronto Stock Exchange, pension fund companies and financial services related to key export sectors such as information & communication technologies and natural resources (mining finance). It will strengthen Ontario’s financial services sector by introducing new market entrants. An International Marketing Centre will also raise the profile of Ontario’s financial services companies which may lead to business development opportunities in Brazil and in the region.

Priority 4

Definition of Catastrophic Impairment

There is an urgent need to clarify and simplify the definition of catastrophic impairment, which is more than 30 years old. It is complicated to interpret and leads to huge transaction costs as claimants and insurers litigate the meaning of the definition.

The purpose of the catastrophic impairment designation in Statutory Accident Benefits system is to ensure that people who are seriously injured and will need specialized care over the remainder of their lives, and who do not have access to a lawsuit against an at-fault driver, have sufficient resources to address their long-term needs.

To address the concerns with the catastrophic impairment definition, the provincial government established an Expert Panel in 2010 to research and analyze the issues and to make recommendations for the government to consider and implement. In mid-2011, the Expert Panel proposed a catastrophic impairment definition that eliminates much of the ambiguity in the current definition and it specifically proposed what would, and would not, fall within the new definition. The recommendations are based on leading medical science principles that will allow a quick, low- cost determination of catastrophic impairment status.

Immediate action needs to be taken to ensure that a workable catastrophic impairment definition is put in place. The longer it takes to implement the definition, the longer the current inefficient and ineffective system will remain in place with its attendant higher exorbitant costs that are not meeting the needs of accident victims. This will make it all the more difficult for insurers to keep insurance premiums down.

In addition, the Ontario Court of Appeal reversed a lower court decision in Kusnierz v. The Economical Mutual that had held that psychological impairments cannot be added with physical impairments in order to meet the definition of catastrophic impairment. The Expert Panel specifically recommended that the combination of physical and psychological impairments is not rooted in medical science. The Court of Appeal decision makes it all the more urgent to implement the Expert Panel recommendations for changes to the current catastrophic impairment definition.

TFSA Recommendation: The government should expedite the implementation of the Expert Panel’s recommendations for a revised catastrophic impairment definition.

Government Response
(Lead: Ministry of Finance)

The Superintendent’s Report on the Definition of Catastrophic Impairment, which was released in 2012, made recommendations to the government regarding the definition of catastrophic impairment based on the work of the Expert Panel. In the 2012 Ontario Budget, the government committed to “move forward to propose regulatory amendments in this area.”

Amending the current definition of catastrophic impairment requires input from a range of insurance experts and professionals. The Ministry of Finance will invite key auto insurance stakeholders to participate in a Stakeholder Roundtable on Catastrophic Impairment Report Recommendations in spring 2013. All stakeholders affected by any change to the catastrophic impairment definition will be invited. They include: insurers, health care associations, scientists and medical experts (possibly including members of the Expert Panel) and legal professionals.

The objective of the catastrophic impairment roundtable is to engage key auto insurance stakeholders regarding the government’s commitment to move forward with regulatory amendments related to the definition of catastrophic impairment.

Priority 5

Mediation and Arbitration System at Financial Services Commission of Ontario (FSCO)

The Financial Services Commission of Ontario (FSCO) mediation and arbitration processes were established to help to resolve disputes between insurance companies and claimants. Currently there is a backlog of mediations in excess of 30,000 cases. Many of the disputes in this backlog relate to issues that should not be part of the mandatory mediation process.

A significant impact of this huge backlog is that there has not been any adjudication of issues under the new Statutory Accident Benefits system definitions of catastrophic impairment, minor injury, etc. This means that there is currently a lack of certainty in the market since the parties are waiting for a definitive decision on major issues. This has led to delays in treatment for claimants while the disputes are lingering without resolution. There are also major transaction costs for insurers while these cases are being decided, both at mediation and at the arbitration stage.

In addition, a recent Superior Court decision held that any mediation that has not taken place within 60 days of the request for mediation is now deemed to have failed. Those cases can now by- pass mediation and proceed directly into litigation in the courts or to FSCO arbitration. This will further put pressure on both the courts and the arbitrations system at FSCO.

Further, under the current process, many decisions regarding disputes over Statutory Accident Benefits issues have an impact that is much more extensive than the individual claim at issue. FSCO arbitrators should not be called upon as a precedent-making authority. Rather, this responsibility would be better left to regulators, rule-makers and courts for a full consideration of the complex legal issues and policy considerations involved.

TFSA Recommendation: Undertake immediate improvements to the service level under the current system and commence a reform of the mediation and arbitration system by:

  • Enlisting private resources for alternative dispute resolution services;
  • Creating a medical expert panel;
  • Creating rules for the interpretation and application of the Statutory Accident Benefits System;
  • Creating a consolidated appeal route; and
  • Reforming various procedural deficiencies in the process.

Government Response
(Lead: Ministry of Finance, Associate Agency: Financial Services Commission of Ontario)

Ontario has been actively addressing the issues relating to the mediation and arbitration system at FSCO. This was indicated by the 2012 Ontario Budget where the government committed to a Dispute Resolution System Review. FSCO has also undertaken many operational initiatives to increase productivity and reduce the backlog of mediation cases, including:

  • Assigning mediation files to a private sector dispute resolution services provider;
  • Implementing an eCalendar tool for scheduling mediations; and
  • Scheduling mandatory settlement blitz days.

These operational initiatives have resulted in an increase of closed mediations by over 11,000 cases and a decrease in open pending cases by almost 2,000 from November 2011 to October 2012.

In addition to ongoing FSCO initiatives, the government will also ensure that stakeholder input, including input from the Insurance Bureau of Canada, is taken into consideration by the Dispute Resolution System Review. To inform the analysis, FSCO will also initiate a study of the mediation backlog to find common themes. The government will also respond to other proposals made by the sector in the context of other reviews and studies it has committed to complete, such as the FSCO Minor Injury Treatment Protocol and the Auto Insurance Anti-Fraud Task Force.

Conclusion

The financial services sector is one of largest contributors to Ontario’s economy. Accounting for nearly 350,000 direct and indirect jobs and 20% of the Toronto’s GDP, the financial services industry continues to grow putting Ontario on the map as one of the top 10 global financial centres.

Over a short period of time, just two months, the Government of Ontario worked on the priorities put forward by the Toronto Financial Services Alliance. Representatives from the financial services sector will now have a regular forum to meet with government officials to jointly discuss complex issues and exchange ideas. Through building a partnership with the federal government, the sector will examine opportunities to position Toronto as a hub for alternative financing. Come summer 2013, a new international marketing centre will be opening in São Paolo, Brazil that will help Ontario financial business expand in the growing South American market. The final two priorities, seeking to redefine catastrophic impairment and reducing backlogs at Financial Services Commission of Ontario will be addressed through consultation and innovative solutions. Ontario is committed to tackling the complex challenges related to the auto insurance industry.

The closing roundtable held on December 18, 2012 brought together representatives from government and the financial services industry. Janet Ecker, President and CEO of the TFSA thanked “the government for its leadership and support in working together to keep Ontario in the top 10 among the world’s financial services centres.” She also noted that because of initiatives like the forum “we will continue our strong relationship between the TFSA and the Government of Ontario into next year and beyond.” From the government’s side, Minister Duguid ensured that the government will be keeping its finger on the issues and will continue to follow up on the priorities and commitments. The ministries involved look forward to further collaboration with the TFSA and the financial services sector to ensure the success for such a vital industry.

For more information, please visit our website at www.ontario.ca/openforbusiness