Anti-Fraud Checklist

Insurance carrier and TPA workflow for screening claims for fraud indicators, escalating suspect claims to SIU, and meeting state Anti-Fraud Plan reporting and Part 500 cybersecurity obligations.

5 sections 21 steps Collects data
1

Policyholder and Claimant Verification

  1. Pull loss runs and prior-policy history
    • Pull 5-year loss runs from each prior carrier and any in-force endorsements. A claim filed within 30 days of policy inception or right before a non-renewal is a common red flag worth flagging at intake.

  2. Verify identity in LexisNexis CLUE and ISO ClaimSearch
    • Run the claimant's name, address, SSN/TIN, and VIN (if auto) through CLUE and ClaimSearch. Look for prior claims under variant spellings, related addresses, or shared phone numbers — staged-loss rings reuse identifiers.

  3. Confirm the policy was in force on the date of loss
    • Check the dec page against the FNOL date. Watch for back-dated coverage requests, mid-term endorsements adding the damaged property the day before the loss, and reinstatements after a lapse.

  4. Capture the recorded statement with consent disclosure
    • Disclose recording at the start — most states are one-party consent but FL, CA, MA, and others require two-party. An undisclosed recording is inadmissible and supports a bad-faith argument later.

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2

Claim Red-Flag Review

  1. Score the FNOL against SIU red-flag indicators
    • Apply the carrier's red-flag matrix: late reporting, no police report on a theft, prior bankruptcy, claimant pressure for fast settlement, recent coverage increase. Three or more flags typically triggers SIU referral under most carrier protocols.

  2. Check ISO ClaimSearch for duplicate or related claims
    • Search by claimant, vehicle, property address, and provider NPI. Duplicate medical bills filed with multiple carriers and shared treating providers across unrelated claimants are the two highest-yield patterns.

  3. Review claim timing against the policy effective date
    • Plot the loss date, FNOL date, and binding date on a timeline. Losses reported within the first 60 days of a new policy or immediately after a coverage increase warrant deeper review.

  4. Decide whether to refer the claim to SIU
    • Document the rationale either way. Texas Insurance Code Chapter 542 still runs on the underlying claim — referral to SIU does not pause the 15-business-day acknowledgement or 60-day decision clock.

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3

SIU Investigation

  1. Open the SIU case file in the case management system
    • Assign an SIU investigator, set the litigation hold, and freeze the claim file from auto-purge. The investigator is typically separate from the adjuster of record to preserve the integrity of any subsequent denial.

  2. Issue the reservation of rights letter
    • The ROR preserves the carrier's coverage defenses while the investigation continues. Cite the specific policy provisions implicated; a generic ROR is routinely held insufficient in coverage litigation.

  3. Schedule the examination under oath
    • Most policies make EUO attendance a condition precedent to coverage. Send the demand by certified mail, allow reasonable time for counsel, and capture document production demands in the same notice.

  4. Document SIU investigation findings
    • Memorialize the EUO transcript, surveillance, expert reports, and provider record reviews. The findings memo is what supports either a denial under the concealment-or-fraud condition or a referral to the state fraud bureau.

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4

Payment Controls and OFAC Screening

  1. Run OFAC SDN screening on the payee
    • Screen at every payment, not just at policy issuance — claimants, attorneys, and assignees can be added to the SDN list mid-claim. Screen the medical provider or repair shop separately when they receive direct payment.

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  2. Place the payment on hold pending compliance review
    • Block the disbursement in the claims system and notify the compliance officer. OFAC blocked-property reports are due within 10 business days of the determination; rejected-transaction reports follow the same window.

  3. Verify the payee bank account via micro-deposit
    • Mid-claim ACH detail changes are the most common payment-fraud vector. Require independent verification through Plaid or a callback to a known phone number on the policy file — never the number in the most recent email.

  4. Apply dual approval for payments over the carrier threshold
    • Most carriers set the dual-approval line at $25K or $50K. Confirm the second approver is outside the adjuster's reporting line — same-line approvals are a market-conduct exam finding under the NAIC unfair claim settlement model.

  5. Log the payment in the claim file with audit trail
    • Capture reserve, ALAE, and indemnity allocations separately. The carrier's retention schedule typically requires 7+ years for P&C and longer for workers comp given lifetime medical exposure.

5

Reporting, Training, and Sign-Off

  1. File the state Anti-Fraud Plan annual report
    • NY, CA, FL, NJ, OH, NM, KY, LA, and MN require periodic Anti-Fraud Plan filings with the DOI. Refresh the plan after any acquisition or change in SIU leadership — acquired carriers often inherit a stale plan.

  2. Submit suspected fraud reports to NICB
    • NICB referrals support cross-carrier ring detection. State fraud bureau referrals are separate and follow each state's mandatory-reporting statute — many require referral within 60 days of a reasonable belief of fraud.

  3. Run quarterly SIU red-flag training for adjusters
    • Most state Anti-Fraud Plan filings require evidence of recurring training. Use the prior quarter's actual referrals as case studies — abstract red-flag lists do not change adjuster behavior the way reviewing a real ring does.

  4. Sign off on the periodic anti-fraud review
    • The compliance officer signs the review attesting to SIU activity, training delivery, and Part 500 access controls on the claims and policy systems. Retain the signed attestation alongside the Anti-Fraud Plan filing.

    Collects list Collects paragraph Collects signature

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Sections 5
Steps 21
Category Insurance
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