Agent Compliance Report
Status: Pre-launch draft. To be ported to Ghost theme once Ghost(Pro) account exists.
Audience: independent P&C insurance agency principals, 1-10 employees, US.
Goal: capture pre-launch email signups as a soft WTP signal before Issue 1 ships.
Hero
The compliance digest for independent insurance agencies that don't have a compliance team.
NAIC Model Law 668 is now adopted in 28+ states. Every state DOI sends bulletins on a different schedule. Carriers are tightening cybersecurity requirements before appointment renewal. And you're the principal, the producer, AND the compliance officer.
Every Tuesday morning. Five-minute read. What changed, what to do, what to ignore.
[ Get notified when Issue 1 ships → email capture ]
This newsletter provides general information about insurance-regulatory developments. It is not legal advice, accounting advice, or licensed-producer guidance. Consult your state DOI, E&O carrier, and counsel for advice specific to your agency. (Full disclaimer.)
What we cover
NAIC Model Law 668 state adoptions. Effective dates, what they mean for agencies under the small-business threshold, deadlines you can't miss.
State DOI bulletins. Curated weekly across the states where most independent agencies write. We tell you which bulletins matter for a 1-10 person agency and which are noise.
Carrier appointment-cybersecurity changes. When Travelers, Progressive, Nationwide, or your regional carrier ships a new cybersecurity questionnaire, we cover it before your appointment renewal landing page does.
Licensing renewal calendars. State-by-state CE and license renewal timelines, condensed.
What we don't do
We do not write your compliance plan. We do not advise on specific E&O claims. We do not tell you whether your agency is compliant under NAIC 668 — we tell you what the law requires and link to the primary source so you (or your counsel) can decide.
Why this is paid
Free trade press exists. AgentSync's free thought-leadership exists. State association newsletters exist. None of them triage for an under-10-employee independent agency, across NAIC 668 states + your state's DOI bulletins + your carriers. The intersection is what you pay for. We won't pad. If a week is quiet, you get a five-line "nothing material happened" issue and a price-pause if a quiet stretch lasts more than four weeks.
Pricing (preview)
$79/month — solo or 1-3 producer agency.
$129/month — 4-10 producer agency or aggregator member-agency wanting branded forwarding.
Cancel anytime in two clicks. No annual lock-in. Refund of unused subscription on cancellation.
(Pricing finalized at Issue 1 launch.)
Sample Issue 1 preview (not yet published)
NAIC 668 — Maine adoption now in effect, exemption threshold update
Maine's adoption of NAIC Model Law 668 took effect November 1, 2026. Agencies with fewer than 5 employees AND under $5M in revenue retain the small-licensee exemption — but the carrier cybersecurity questionnaire requirements from Travelers and Nationwide DO apply regardless. If you write in Maine, your action item this week: confirm your written information security program covers the new third-party-vendor risk assessment language.
— Citations: 24-A M.R.S. §2264; Travelers Producer Bulletin TPB-2026-118.
(Full sample issue available to first 50 signups.)
Who's writing this
Agent Compliance Report is published by DynSup Labs LLC. Every issue is researched with AI assistance and reviewed and edited by a human editor before it goes out — never auto-published, never a content farm.
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