Member State Contact Information | Insurance Compact

Total Page:16

File Type:pdf, Size:1020Kb

Member State Contact Information | Insurance Compact *Updated on August 24, 2021 Insurance Compact State Contact Information Listed below is the state insurance department contact information for our Compacting States, for use as required under the Uniform Standards. State Insurance Department Address City, State, Zip Main Phone Fax Email Alabama Alabama Department of Insurance 201 Monroe St., Suite 502, P.O. Box 303351 Montgomery, AL (334) 269-3550 (334) 241-4192 [email protected] 36130-3351 Alaska Alaska Division of Insurance 550 West 7th Avenue, Suite 1560 Anchorage, AK 99501- (907) 269-7900 (907) 269-7910 [email protected] 3567 Arizona Arizona Department of Insurance 100 North 15th Avenue, Suite 261 Phoenix, AZ 85007- (602) 364-2499 (602) 364-2505 [email protected] 2630 Arkansas Arkansas Insurance Department 1 Commerce Way Suite 102 Little Rock, AR 72202- (800) 852-5494 (501) 371-2618 [email protected] 2087 or (501) 371-2640 Colorado Colorado Division of Insurance 1560 Broadway, Suite 850 Denver, CO 80202 (303) 894-7499 (303) 894-7455 [email protected] Connecticut Connecticut Insurance Department 153 Market Street, P.O. Box 816 Hartford, CT 06142- (860) 297-3800 (860) 566-7410 [email protected] 0816 Delaware Delaware Department of Insurance 1351 West North Street, Suite 101 Dover, DE 19904 (302) 674-7300 (302) 739-5280 [email protected] District of District of Columbia Department of 1050 First Street, NE, 801 Washington, DC 20002 (202) 727-8000 [email protected] Columbia Insurance, Securities and Banking Georgia Georgia Department of Insurance Two Martin Luther King, Jr. Drive West Tower, Atlanta, Georgia 30334 (404) 656-2056 (404) 656-4688 Suite 704 Hawaii Hawaii Insurance Division P.O. Box 3614 Honolulu, HI 96811- (808) 586-2790 (808) 586-2806 [email protected] 3614 Idaho Idaho Department of Insurance 700 West State Street, 3rd Floor P.O. Box 83720 Boise, ID 83720-0043 (208) 334-4250 (208) 334-4398 Illinois Illinois Department of Insurance 320 West Washington Street Springfield, IL 67267- (217) 782-4515 (217) 782-5020 [email protected] 0001 Indiana Indiana Department of Insurance 311 W. Washington Street, Suite 103 Indianapolis, IN (317) 232-2385 (317) 232-5251 [email protected] 46204-2787 Iowa Iowa Insurance Division 1963 Bell Avenue, Suite 100 Des Moines, IA 50315 (515) 654-6600 (515) 281-3059 Online Form Kansas Kansas Department of Insurance 1300 SW Arrowhead Topeka, KS 66604 (785) 296-3071 (785) 296-7805 [email protected] Kentucky Kentucky Office of Insurance P.O. Box 517 Frankfort, KY 40602- (502) 564-3630 (502) 564-1453 0517 Louisiana Louisiana Department of Insurance 1702 North 3rd Street P.O. Box 94214 Baton Rouge, LA (800) 259-5300 (225) 342-5711 Online Form 70802 Maine Maine Bureau of Insurance 34 State House Station Augusta, ME 04333- (207) 624-8475 (207) 624-8599 [email protected] 0034 Maryland Maryland Insurance Administration 200 St. Paul Place, Suite 2700 Baltimore, MD 21202- (410) 468-2090 (410) 468-2020 Online Form 2272 Massachusetts Division of Insurance 1000 Washington Street, 8th Floor Boston, MA 02118- (617) 521-7794 (617) 521-7575 2218 Michigan Michigan Department of Insurance P.O. Box 30220 Lansing, MI 48909- (877) 999-6442 (517) 284-8715 and Financial Services 7720 Minnesota Minnesota Department of Commerce 85 7th Place East, Suite 280 St. Paul, MN 55101- (651) 539-1500 (651) 539-1550 [email protected] 2198 State Insurance Department Address City, State, Zip Main Phone Fax Email Mississippi Mississippi Insurance Department 1001 Woolfolk State Office Building, 501 N. West Jackson, MS 39205 (800) 562-2957 (601) 359-1077 Street Missouri Missouri Department of Commerce P.O. Box 690 Jefferson City, MO (573) 751-3365 (573) 751-1165 [email protected] and Insurance 65102-0690 Montana Montana Office of the Commissioner 840 Helena Ave. Helena, MT 59601 (406) 444-2040 (406) 444-3497 [email protected] of Securities and Insurance Nebraska Nebraska Department of Insurance P. O. Box 82089 Lincoln, NE 68501- (402) 471-2201 (402) 471-4610 [email protected] 2089 Nevada Nevada Division of Insurance 1818 E. College Parkway, Suite 103 Carson City, NV 89706 (775) 687-0700 (775) 687-0787 [email protected] New New Hampshire Department of 21 Fruit Street, Suite 14 Concord, NH 03301 (603) 271-2261 (603) 271-1406 [email protected] Hampshire Insurance New Jersey New Jersey Department of Banking P.O. Box 325 Trenton NJ 08625 (609) 292-7272 (609) 777-0508 and Insurance New Mexico Office of Superintendent of Insurance P.O. Box 1689 Santa Fe, NM 87504- (505) 827-4601 (505) 827-4734 https://www.osi.state.nm.us/index.php 1689 /contact-us/ North Carolina North Carolina Department of 1201 Mail Service Center Raleigh, NC 27699- (855) 408-1212 (919) 733-0085 Online Form Insurance 1201 Ohio Ohio Department of Insurance 50 W Town Street, Third Floor - Suite 300 Columbus, OH 43215- (614) 644-2658 (614) 644-3743 Online Form 1067 Oklahoma Oklahoma Department of Insurance 400 NE 50th Street Oklahoma City, OK (405) 521-2828 (405) 521-6635 Online Form 73105 Oregon Oregon Insurance Division Consumer P.O. Box 14480 Salem, OR 97309-0405 (503) 947-7984 (503) 378-4351 [email protected] Advocacy Unit Pennsylvania Pennsylvania Department of 1326 Strawberry Square, 13th Floor Harrisburg, PA 17120 (877) 881-6388 (717) 787-8555 Insurance Puerto Rico Puerto Rico Department of Insurance 361 Calle Calaf , PO Box 195415 San Juan, PR 00919 (787) 304-8686 (787) 273-6265 Rhode Island Rhode Island Insurance Division 1511 Pontiac Ave, Bldg. 69-2 Cranston, RI 02920 (401) 462-9520 (401) 462-9602 [email protected] South Carolina South Carolina Department of P.O. Box 100105 Columbia, SC 29072 (803) 737-6180 (803) 737-6231 [email protected] Insurance Tennessee Tennessee Department of Commerce Davy Crockett Tower, 12th Floor, 500 James Nashville, TN 37243- (615) 741-2241 (615) 532-6934 [email protected] & Insurance Robertson Parkway 0565 Texas Texas Department of Insurance P.O. Box 149104 Austin, TX 78714-9104 (800) 252-3439 (512) 490-1003 [email protected] Utah Utah Insurance Department 4315 S. 2700 West, Ste. 2300 Salt Lake City, UT (801) 957-9290 [email protected] 84129 Vermont Vermont Division of Insurance 89 Main Street, Drawer 20 Montpelier, VT 05620- (802) 828-3301 (802) 828-3306 [email protected] 3101 Virginia Virginia Bureau of Insurance P.O. Box 1157 Richmond, VA 23218 (804) 371-9741 (804) 371-9873 [email protected] Washington Washington State Office of Insurance P.O. Box 40255 Olympia, WA 98504- (360) 725-7000 (360) 586-3535 Online Form 0256 West Virginia West Virginia Offices of the P.O. Box 50540 Charleston, WV 25305- (304) 558-3354 (304) 558-0412 [email protected] Insurance Commissioner 0540 Wisconsin Office of the Commissioner of P.O. Box 7873 Madison, WI 53707- (608) 266-3585 (608) 266-9935 [email protected] Insurance 7873 Wyoming Wyoming Department of Insurance 106 East 6th Avenue Cheyenne, WY 82002- (307) 777-7401 (307) 777-2446 [email protected] 0440 .
Recommended publications
  • Saipan Economic Development Forum Hyatt Regency Saipan June 4, 2013
    Saipan Economic Development Forum Hyatt Regency Saipan June 4, 2013 Governor Eloy S. Inos Lt. Governor Jude U. Hofschneider dddddddddddHåfa adai, Tirow wáámi On behalf of the people of the Northern Mariana Islands, we welcome you to this Northern Mariana Islands Economic Development Forum. We also extend a very special welcome to our visiting federal officials. Thank you for your participation and assistance. We have always believed that the Northern Mariana Islands hold so much promise and potential for enterprising individuals pursuing economic opportunities. In this regard, we place such high value on engaging with all our stakeholders to ensure greater economic growth and much needed development. To achieve a balanced and well-rounded effort, we hope that you will take advantage of this forum to better analyze current local conditions, exchange ideas and strategies, and identify federal assistance or resources available. We are confident that the efforts of stakeholders to heighten public awareness and encourage economic development will produce positive returns by sparking heightened interest. In conjunction with Congressman Gregorio Kilili C. Sablan, we are certainly pleased to host this first of its kind Economic Development Forum. We commend the Federal Reserve Bank of San Francisco for generously sponsoring this event. Thank you, Si Yuʼos maʼåseʼ, and Olomwaay reemi. ELOY S. INOS JUDE U. HOFSCHNEIDER Agenda Tuesday, June 4, 2013 I. Welcome Jim Arenovski, Delta Management Corporation, Island Training Solutions, The Bridge Project II. Welcoming Remarks Eloy S. Inos, Governor of the Northern Mariana Islands Gregorio Kilili Camacho Sablan, Member of Congress, U.S.House of Representatives III. Current Economic Development Studies and Participants’ Perspectives Sixto Igisomar, CNMI Department of Commerce VI.
    [Show full text]
  • Insurance Laws COVID-19 Notice
    RICARDO LARA CALIFORNIA INSURANCE COMMISSIONER NOTICE TO: All Admitted and Non-Admitted Insurance Companies, all Licensed Producers, Independent Adjusters, and Other Interested Parties FROM: Commissioner Ricardo Lara DATE: March 18, 2020 RE: Insurance Company Obligations to Comply with Insurance Laws during the Coronavirus (COVID-19) Outbreak Insurers and other licensees of the California Department of Insurance (Department) are subject to numerous legal and commercial obligations and timeframes. In response to the disruption caused by the novel coronavirus (COVID-19) outbreak, Insurance Commissioner Ricardo Lara strongly encourages all insurance companies and other Department licensees to take steps during the crisis necessary to maintain their ability to process and pay insurance claims and provide other required consumer services for insureds in a reasonable and timely manner. The Department of Insurance is also aware that an increasing number of local public health departments throughout the state have issued “shelter in place” directives requiring residents to stay home and directing workplaces to implement telecommuting procedures where feasible. The Department recognizes that the COVID-19 outbreak continues to strain insurance industry resources and reduce the staff available to conduct mandatory on-site inspections or audits, to adjust and pay claims, process underwriting documents, and perform other required insurance transactions. Please be informed that the Department of Insurance intends to consider the extraordinary circumstances relating to the COVID-19 outbreak and the resulting disruptions to normal business operations when evaluating whether insurers and other Department licensees have complied with their respective legal and commercial obligations during the COVID-19 pandemic. CALIFORNIA DEPARTMENT OF INSURANCE PROTECT • PREVENT • PRESERVE .
    [Show full text]
  • Mike Kreidler, Office of the Insurance Commissioner, State of Washington
    MIKE KREIDLER STATE OF WASHINGTON STATE INSURANCE COMMISSIONER www.insurance.wa.gov OFFICE OF INSURANCE COMMISSIONER June 14, 2021 The Honorable Gary Gensler, Chair U.S. Securities and Exchange Commission 100 F Street, Northeast Washington, DC 20549 RE: US Insurance Regulator Experience with Insurer Financial Disclosure on Climate Change Dear Mr. Gensler, In response to your agency’s request for public input on climate change disclosures, I would like to offer some observations arising from my experience as the insurance commissioner for Washington State. For 12 years, my fellow state insurance regulators and I have been requiring the largest insurers operating in the United States to report annually on the financial implications of climate change to their businesses as well respond to a question about their own greenhouse gas (GHG) emissions. In recent years, we have encouraged companies to submit a report aligned with the Task Force on Climate-Related Financial Disclosures (TCFD) in lieu of answering the eight questions in the annual Climate Risk Disclosure Survey. A growing number of companies are choosing to do so. At the outset, I should say that I agree with the sentiment of SEC Commissioner Allison Herren Lee who, during an NYU Stern School conference in April, indicated that the likely outcome of the current effort to encourage greater disclosure regarding the impact of climate change on companies is that regulators will ultimately require “TCFD plus”. My perspective on required insurer financial disclosure on climate change largely stems from my direct experience working on this issue for more than a decade as Washington State Insurance Commissioner, a statewide elected position I have served in for over 20 years.
    [Show full text]
  • State Insurance State Insurance Department Public Department
    State Insurance Department Public Information Officers SHARE THIS DOWNLOAD TO PDF Alabama Alabama Department of Insurance Ragan Ingram Public Information Officer/Assistant Commissioner Tel: (334) 241-4146 Fax: (334) 241-4192 [email protected] Alaska Alaska Division of Insurance Kathy Schutte Deputy Director Tel: (907) 465-2518 Fax: (907) 465- 3422 [email protected]/insurance Arizona Arizona Department of Insurance Erin Klug Public Information Officer Tel: (602) 912-8456 Fax: (602) 912-8452 [email protected] Arkansas Arkansas Department of Insurance Charlye Woodard Public Information Officer Tel: (501) 371-2835 Fax: (501) 371-2618 [email protected] California State of California Department of Insurance Byron Tucker Deputy Commissioner of Communication Tel: (916) 492-3566 Fax: (213) 897-9051 [email protected] Colorado Colorado Division of Insurance Robert Manning Program Assistant/ Media Contact Tel: (303) 894-2157 Fax: (303) 894-7455 [email protected] Michael Mawhinney Program Assistant/ Media Contact Tel: (303) 894-7425 Fax: (303) 894-7455 [email protected] Connecticut Connecticut Insurance Department Kate Kiernan-Pagani Legislative Liaison & Public Relations Officer Tel: (860) 297-3864 Fax: (860) 566-7410 [email protected] Delaware Delaware Insurance Department Rhonda West Public Information Officer Tel: (302) 739-4251 Fax: (302) 739-5280 [email protected] District of Columbia Department of Insurance, Securities and Banking Janis Ghenene Public
    [Show full text]
  • Modernize and Improve the System of Insurance Regulation in the United States Table of Contents
    How To Modernize And Improve The System Of Insurance Regulation In The United States Table of Contents I. INTRODUCTION .................................................................................................................1 Structure of the Report ......................................................................................................4 Recommendations for Modernization of Insurance Regulation in the United States ...........................................................................................................5 Areas of Near-Term Reform for the States........................................................................6 Areas for Direct Federal Involvement in Regulation .......................................................7 Potential Federal Solutions to States’ Failure to Modernize and Improve ....................8 II. A BRIEF HISTORY OF THE REGULATION OF THE UNITED STATES INSURANCE INDUSTRY .................................................................11 Early Era of Insurance Regulation and the Limitation on Federal Authority ..............11 Box 1: The National Association of Insurance Commissioners (NAIC) ..................11 Early Calls for Federal Regulation of Insurance ...........................................................13 The Case of South-Eastern Underwriters, Federal Authority to Regulate Insurance, and the McCarran-Ferguson Act ...................................................14 The Crises of Insurer Insolvencies, Congressional Reaction, and State Regulatory Responses ......................................................................................15
    [Show full text]
  • Sent Guidance
    MIKE KREIDLER STATE OF WASHINGTON Phone: 360-725-7000 STATE INSURANCE COMMISSIONER www.insurance.wa.gov OFFICE OF INSURANCE COMMISSIONER June 23, 2020 To Health Insurance Carriers in Washington State: The purpose of this letter is to clarify and reaffirm prohibitions in Washington State law against discrimination in health care coverage on the basis of race, color, national origin, disability, age, sex, gender identity or sexual orientation.1 Broad exclusions of coverage on the basis of gender identity continue to be prohibited under Washington state law. Additionally, denial of a medically necessary service on the basis of gender identity remains prohibited under Washington state law. On June 12, 2020, the United States Department of Health and Human Services (HHS) issued a final rule related to §1557 of the Affordable Care Act.2 This rule retracts many important protections established in the previous version of the rules for insurance consumers. However, the preamble to the final rule states that the final federal rule does not deny states the ability to provide protections that exceed those required by federal civil rights law.3 In Washington state, the legislature has enacted protections against discrimination that exceed those embodied in the final §1557 regulations through the enactment of RCW 48.43.0128, RCW 48.30.300 and RCW 49.60.178. Thus, regardless of the changes to federal regulations implementing §1557 of the ACA, state law provides comprehensive protections against discrimination consistent with federal rules and guidance
    [Show full text]
  • Commissioner David Mattax Texas Department of Insurance 333 Guadalupe Austin, TX 78701
    United Policyholders 381 Bush Street, 8th Floor San Francisco, CA 94104 415.393.9990 www.uphelp.org Commissioner David Mattax Texas Department of Insurance 333 Guadalupe Austin, TX 78701 Re: Request for disapproval of mandatory arbitration provisions in home insurance policies Board of Directors Amy Bach Dear Commissioner Mattax: Executive Director E. Gerard Mannion I write in my capacity as an official consumer representative to the NAIC and as the co- Board Chair Mannion and Lowe founder of a national non-profit called United Policyholders (“UP”) that has worked with David Baria your staff during our 25 years in operation to provide recovery guidance to wildfire and Mississippi State Representative flood victims in your state. I respectfully ask you and your staff to disapprove any and all Christine Davis current or future form filings that includes mandatory arbitration provisions through which DZH Phillips the policyholder waives their civil right to use Texas public courts to resolve claim disputes. Larry P. Ginsburg, CFP Ginsburg Financial Advisors, Inc. We understand that a policy form has been submitted to your office for approval that offers William H. Hedden a lower premium if the policyholder agrees to buy a policy that requires them to submit Consolidated Adjusting, Inc. disputes to binding arbitration. We sincerely hope you will reject this form and issue a clear Jim Jones directive to the insurers in your state that you will not tolerate this kind of anti-consumer Industry Ventures overreaching. If you heard Professor Kochenberger’s presentation at the last NAIC meeting Brian S. Kabateck Kabateck Brown Kellner LLP in Louisiana, you know how strong the evidence is that regulators should not allow mandatory arbitration provisions in home insurance policies.
    [Show full text]
  • Appellant's Response, No. 19-0605
    RECEIVED RE: OAH Docket 01-2020-INS-00072 MAR 102020 OAH-TACOMA To Whom It May Concern: I am writing this with somewhat of a handicap as it would seem I am the only one without access to emails and texts for the time period in question. When I left Sentry Insurance in June of 2018, I also lost access to all emails and text messages that were sent during that time period. I also loss access to my calendar and notes which I used to keep notes and reminders. One of the injuries that I received during combat while serving in the Army was repeated Concussions from blast while serving in Iraq. I say this only as my memory is at a loss without my notes. I can remember most items by dates and times are often jumbled. My timeline of the events will not have any dates or times used with them either. Lastly as a single father and realizing the importance of this hearing I simply do not have the finances to hire an attorney. Please forgive in advance that when reading my response and realizing in may not be presented in a way in which you may be familiar with. I began working with Sentry Insurance in September of 2011. This was my second job after being Medically Retired from the Army. I was assigned the territory of NW Washington (North of 1-90 West of the Cascades) and all of Alaska. I would visit insured and prospects in person in both parts of my territory.
    [Show full text]
  • An Insurance Perspective on Earthquake Events in Alaska
    ASHSC White Paper Seismic Events in Alaska: A Perspective on the Role of Insurance By Dean Maxwell Presented to Alaska Seismic Hazards Safety Commission September 8, 2006 1 ASHSC White Paper SEISMIC EVENTS IN ALASKA: THE ROLE OF INSURANCE This report is limited in scope due to the complexity and volume of information and perspectives on issues related to of the role of insurance in responding to a catastrophic seismic event in Alaska. Furthermore, “it is important to understand that insurance alone does not mitigate losses from seismic hazards.”1 Earthquake insurance should be considered as one facet of a comprehensive solution to help the Alaskan community recover from the financial burden imposed by a catastrophic earthquake event, including secondary losses frequently associated with large earthquakes such as fire, flooding, loss of habitation, and loss of income. To address this dilemma one must examine the availability of insurance in Alaska, what earthquake insurance covers, challenges in the insurance market, mitigation factors, the roll of government, and what steps can be taken to address both current and developing issues and challenges. Availability of Earthquake Insurance in Alaska In Alaska there is no form of governmental or other public coverage such as the California Earthquake Authority (CEA), which is a privately funded, publicly managed organization. All earthquake insurance is written by private insurance companies. According to the latest figures available from the Alaska Division of Insurance (2004) there are fifty-four insurers providing earthquake insurance in Alaska. Of those fifty-four, the top two hold slightly under 59 % of the market share by premium.
    [Show full text]
  • COVID-19 Screening and Testing
    RICARDO LARA CALIFORNIA INSURANCE COMMISSIONER BULLETIN TO: All Health Insurers FROM: Insurance Commissioner Ricardo Lara DATE: March 5, 2020 RE: COVID-19 Screening and Testing As the State of California responds to COVID-19, the California Department of Insurance (CDI) wants to ensure that cost does not create a barrier for consumers receiving medically necessary screening and testing for COVID-19. Waiver of Cost-Sharing Amounts The Department directs all insurers providing commercial health insurance coverage to do the following: 1. Immediately reduce cost-sharing (including, but not limited to, co-pays, deductibles, or coinsurance) to zero for all medically necessary screening and testing for COVID-19, including hospital, emergency department, urgent care, and provider office visits where the purpose of the visit is to be screened and/or tested for COVID-19. 2. Notify, as expeditiously as possible, the insurer’s contracted providers that the insurer is waiving cost-sharing as described above. 3. Ensure the insurer’s advice nurse line and customer service representatives are adequately informed that the insurer is waiving cost-sharing as described above and clearly communicate this to insureds who contact the insurer seeking medically necessary screening and testing for COVID-19. 4. Inform the insurer’s call center staff to advise insureds to call their provider’s office or advice nurse line for instructions about how best to access care for screening and treatment of COVID-19 prior to in-person visits to a clinic or emergency department. PROTECT • PREVENT • PRESERVE 300 South Spring Street, 14th Floor Los Angeles, California 90013 Tel: (213) 346-6464 • Fax: (213) 897-9051 Consumer Hotline 800-927-4357 • TTY 800-482-4833 www.insurance.ca.gov California Department of Insurance March 5, 2020 Bulletin: COVID-19 Screening and Testing Page 2 5.
    [Show full text]
  • CALIFORNIA Ricardo Lara Commissioner
    CALIFORNIA Ricardo Lara is California's eighth Insurance Commissioner since voters created the elected position in 1988. Lara previously served in the California Legislature, representing Assembly District 50 from 2010 to 2012 and Senate District 33 from 2012 to 2018. As Senator, Lara expanded protections for disaster survivors from losing their homes to insurance cancellation and nonrenewal. He wrote the nation's first climate insurance law, SB 30, to engage the insurance industry in the fight against climate-linked environmental disasters like wildfires and sea level rise. Lara is one of California's most effective environmental champions, working to improve health conditions and rein in air pollution. Lara received the United Nations 2017 Climate and Clean Air Award with former Governor Edmund G. Brown Jr. and the California Air Resources Board for his work to reduce super pollutants. Lara authored the Health4All Kids Act, which now covers 250,000 California children with full-scope health care regardless of their immigration status. He also authored laws that help prevent prescription drug abuse and crack down on patient brokering and fraud involving Californians recovering from substance abuse disorders. Ricardo Lara Raised in East Los Angeles by immigrant parents, Lara made history in 2018 by Commissioner becoming the first openly gay person elected to statewide office in California's history. Term of Office: Four Years Lara earned a bachelor's degree in Journalism and Spanish with a minor in Elected: November 6, 2018 Chicano Studies
    [Show full text]
  • KANSAS Vicki Schmidt Commissioner
    KANSAS Vicki Schmidt is a lifelong Kansan & Republican, born and raised in Wichita. She and her high school sweetheart, Dr. Michael Schmidt, MD, have been married 46 years. Vicki graduated from KU’s School of Pharmacy and has worked more than 40 years as a local pharmacist. They made their home in Topeka, where they raised their two sons. They are also proud grandparents of three. It was her experience as a pharmacist that drew her to run for the Kansas Legislature, where she served 14 years, including 12 as a member of the Financial Institutions and Insurance Committee and six as chair of the Public Health and Welfare Committee. On November 6, 2018, she was elected as Kansas Insurance Commissioner, with the largest vote total statewide. When she was sworn-in on January 14, 2019, she became the first pharmacist to serve as Kansas Insurance Commissioner and is the only pharmacist in America to hold a statewide office. Since joining the NAIC, she has served as a member of the Life Insurance and Annuities (A) Committee, Health Insurance and Managed Care (B) Committee, Market Regulation and Consumer Affairs (D) Committee and currently chairs the Property and Casualty Insurance (C) Committee. She also serves as a member of the National Insurance Producer Registry Board, System for Electronic Rate and Vicki Schmidt Form Filing Advisory Board and as a member of the Insurance Compact Management Committee. Commissioner Term of Office: Four years Elected: November 6, 2018 Mailing Address Street Address Kansas Insurance Department Same as mailing address 1300 SW Arrowhead Road Topeka, Kansas 66604 Email Address [email protected] Phone Numbers Fax Numbers Main (785) 296-3071 GPA/Admin/Anti-Fraud (785) 296-7805 Toll-Free (In-State Only) (800) 432-2484 Legal/Fin.
    [Show full text]