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THIS ENDORSEMENT CHANGES THE POLICY. PLEASE READ IT CAREFULLY. <br />IDENTITY RECOVERY COVERAGE FOR BUSINESSOWNERS <br />AND EMPLOYEES <br />IDENTITY THEFT CASE MANAGEMENT SERVICE AND EXPENSE <br />REIMBURSEMENT <br />This endorsement modifies insurance provided under the following: <br />SPECIAL PROPERTY COVERAGE FORM <br />A. The following is added to paragraph 5. Additional <br />Coverages (Section A. - Coverage): <br />IDENTITY RECOVERY COVERAGE <br />We will provide the Case Management Service and <br />Expense Reimbursement Coverage indicated <br />below if all of the following requirements are met: <br />1. There has been an "identity theft" involving the <br />personal identity of an "identity recovery <br />insured" under this policy; and <br />2. Such "identity theft" is first discovered by the <br />"identity recovery insured" during the policy <br />period for which this Identity Recovery <br />coverage is applicable; and <br />3. Such "identity theft" is reported to us as soon <br />as practicable but in no event later than 60 <br />days after it is first discovered by the "identity <br />recovery insured." <br />If all three of the requirements listed above have <br />been met, then we will provide the following to the <br />"identity recovery insured": <br />1. Case Management Service <br />Services of an "identity recovery case <br />manager" as needed to respond to the "identity <br />theft"; and <br />2. Expense Reimbursement <br />Reimbursement of necessary and reasonable <br />"identity recovery expenses" incurred as a <br />direct result of the "identity theft." <br />This coverage is additional insurance. <br />B. The following additional exclusions are added to <br />Section B. - Exclusions and apply to this coverage: <br />EXCLUSIONS <br />We do not cover loss or expense arising from any <br />of the following: <br />1. Theft of a professional or business identity. <br />2. Any fraudulent, dishonest or criminal act by an <br />"identity recovery insured" or any person aiding <br />or abetting an "identity recovery insured", or by <br />any authorized representative of an "identity <br />recovery insured", whether acting alone or in <br />collusion with others. However, this exclusion <br />shall not apply to the interests of an "insured" <br />who has no knowledge of or involvement in <br />such fraud, dishonesty or criminal act. <br />3. Loss other than "identity recovery expenses". <br />4. An "identity theft" that is first discovered by the <br />"identity recovery insured" prior to or after the <br />policy period for which this coverage applies. <br />This exclusion applies whether or not such <br />"identity theft" began or continued during the <br />period of coverage. <br />5. An "identity theft" that is not reported to us <br />within 60 days after it is first discovered by the <br />"identity recovery insured." <br />6. An "identity theft" that is not reported in writing <br />to the police. <br />Form SS 41 12 12 17 <br />© 2017, The Hartford <br />ew cF RAMwagementDMsian <br />Jy/\'x REVIEWED & APPROVED BY.- <br />V"° <br />--� Risk janagement Analyst <br />