NAFA, the National Association for Fixed Annuities, submits this letter in response to the NAIC Annuity Suitability Working Group’s (the Working Group) request for comments and suggested revisions to the NAIC Suitability in Annuity Transactions Model Regulation (MDL #275) that would establish a best interest/consumer-focused approach and/or process for the sale of annuity products.

View the comment letter here.