Arthneeti Finance Newsletter March 2013

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    SPECIAL FEATURE:

    An Interview with

    Mr. Gajendra Kothari,

    MD and CEO,

    Etica Wealth Management

    Infrastructure

    Financing

    By Mr. Vishal Bhambhani,

    Alumni SIMSREE

    Banking Licenses

    for the NBFCs: A

    Necessary Evil?

    By Hitesh Rohira,

    SIMSREE

    Financial Sector

    Legislative Reforms

    Commission

    By SIMSREE FINANCE

    FORUM

    With the passing of Banking Laws (Amendment) Bill, the

    RBI has got the power to issue new banking licenses in

    order to encourage financial inclusion as well as allow for

    more penetration of banking services to the public. This

    move is seen as a game changer in the banking sector

    with Indias largest business houses as well as NBFCs set

    to apply for new licenses. But, along with thisdevelopment comes a greater responsibility for RBI to

    check the credibility and usage of funds by license

    nominees in order to regulate the function of new banks

    so that they do not deploy funds to risky assets or for

    personal business interests.

    Another important topic covered in this issue is

    Infrastructure Financing. Infrastructure creation is seen

    as one of the main growth drivers in times of slump ingrowth and financing is the way with the help of which

    we can create better infrastructure and hence contribute

    better for the prosperity of our developing economy.

    In this issue, we have an article on Infrastructure

    Financing by Mr. Vishal Bhambhani, who is an Associate

    at Infrastructure Solutions Group at Centrum Capital Ltd.

    and our illustrious alumni. Also, as part of our forum

    activity we have an article on Banking Licenses for

    NBFCs: A necessary evil? written by Hitesh Rohira from

    SIMSREE. Finally we have an article from our team on

    Financial Sector Legislative Reforms Commission(FSLRC).

    Happy Reading!

    EDITORIAL

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    1. What are the general roles of wealth

    management industry and what is your

    take on the current wealth management

    industry?

    Ans. Wealth management industry is a tiny

    industry currently in India. It has not

    expanded to the scale to which it has grown

    in the developed markets. People generally

    have small savings with them and they like

    to invest in gold. People also invest in real

    estate properties but that is limited to a

    very small percentage of people .Wealth

    management awareness exists amongst

    such small percentage of people. People

    also use LIC schemes for tax savings but

    people think that they are a kind of forced

    savings as they view LIC policies as a source

    to save their tax. Gradually after

    liberalization, foreign banks have entered

    India bringing in their best practices. Public

    Sector Banks (PSB) initially used to have

    only a single point of contact like the

    manager for any queries regarding the

    investments that people have to make. But

    now with the advent of technology and

    rapid growth in the economy and with the

    increase in the income levels of the people

    ,banks now have multiple desks in their

    branches for the different types of savings

    account they need to have. Agents are also

    responsible for the spreading awareness

    amongst the people regarding their savings

    and investments. Industry in recent times

    has become a lot more complex and

    dynamic. Previously one was able to

    guarantee a fixed percentage of return on

    the investments made but no more is the

    same scenario. One cannot guarantee a

    fixed percentage of return .Indian industry

    is a sunrise industry with a tremendous

    potential for growth to tap large untapped

    markets.

    Interview: Mr. Gajendra

    Kothari,

    CEO and MD, Etica Wealth

    Management

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    2. What is your take on the Financial

    awareness amongst the people in the tier2

    and lower tier cities and how do you think

    financial awareness could be spread?

    Ans. Only around 10 % people are

    financially literate in the tier2 and lower tier

    cities and around 30-35 % people are

    financially literate in metros like Mumbai,

    so a lot more needs to be done in order to

    increase awareness amongst the people.

    Even in a metro like Mumbai which is the

    financial hub of India, a lot more potential is

    there for the growth of wealth

    management industry because of the lack

    of financial literacy amongst the people.

    The other difference between the people in

    the metros and the smaller cities is that the

    people in the metro dont have time which

    they can spend to make themselves learn

    the basics of financial investment while the

    people in the smaller towns and cities do

    get time to learn these basics more thing

    that can be done is to teach normal

    economic terms in an engaging manner in

    the schools to spread awareness amongst

    people regarding their savings and

    investments.

    3. Can agents be used to spread awareness

    about financial planning?

    Ans.The agents can be thought to be a full

    fledged advisors rather than just Life

    insurance agents as it will help to spread

    the financial awareness more quickly and

    easily and also broaden their thinking .RBI is

    also using retired bankers and teachers to

    spread financial awareness which is a very

    good initiative.

    4. What is the time horizon for investing in

    mutual funds?

    Ans.First of all a mutual fund should not be

    bought randomly just for the sake of

    making quick money. Some basic things

    which they need to keep in mind before

    investing is that they need to know for what

    they are investing, how much money they

    are investing, what is their financial goal for

    which they are investing, what is the time

    period over which they would like to get the

    desired return. They need to keep in mind

    the financial goal they have and the not

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    kind of returns that they will get in short

    term.

    5. How to woo investors to save money in

    Mutual Funds?

    Ans. One can show them a comparative

    analysis about the performance of various

    mutual fund providers and the rate of

    return that they get over a period. They

    need be taught that if one puts money in

    saving schemes and if inflation is more than

    savings rate then there is no point in

    putting money in savings scheme.

    6. Why dont people invest in real estate?

    Ans. The main reason is the huge sum of

    money required to but a property which

    majority of the people cant afford.

    7. How to bring money into the equity

    market rather than gold?

    Ans. To create a separate vehicle for

    equities because if money flows into equity

    then it is the main source of financing for

    many industries which plays a part in the

    development of an economy .People can be

    wooed by providing tax benefits on the

    money they put into equities .Gold is an

    illiquid asset which doesnt pump in the

    money into the economy.

    8. What is your take on the Rajiv Gandhi

    mutual Fund scheme?

    Ans.It is a good initiative but gain too many

    complexities will hamper the scheme. It is a

    separate scheme where one can save

    additional 50000 rupees apart from 1 lakh

    rupees under 80C.But again the major

    drawback is that only new investors are

    allowed who havent yet opened any demat

    account so the scope of existing investors

    investing is closed down.

    9. Why are the ETF schemes not working?

    Ans. They are very specialized schemes.

    People in general arent aware of the plain

    vanilla products being offered so the scope

    of development of ETF schemes

    automatically reduces .Majority of the

    people do not have demat accounts which

    is pre-requisite for ETFs.Unlike ETfs gold

    and FDs are very easy to understand

    products which even a layman can

    understand and invest in.

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    10. What is your take on budget w.r.t.

    investments?

    Ans.No changes as such have been made in

    this budget to make the investments

    lucrative.

    One more important thing

    that people need to remember

    is that Insurance and savings

    should be considered two

    separate things because

    Insurance should be taken

    solely by perspective of

    insuring ones life so that the

    family also gets financially

    covered

    FIN-QUIZ

    1. A US denominated bond thatis publicly issued in US

    2. Foreign exchange contractswhich provide for settlement

    on the 1st working day after

    the contract day

    3. In what denominations can acommercial paper be issued

    in India

    4. Which sister organization ofthe World Bank helps private

    activity in developing

    countries by financing

    projects with long-term

    capital in the form of equityand loans?

    5. New industries that arecoming up and which are

    going to play an important

    role in the countrys economy

    December Issue Answers:

    1. Luca Pacioli

    2. "Big Board" or "The Exchange"

    3. zero

    4. Economy

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    - By Mr. Vishal Bhambhani, AlumniInfrastructurean asset class comprises of:

    Power generation, transmission &distribution

    Development of Roads, bridges,runways

    Airport and seaport development Railway tracks, signaling system,stations

    Telephone lines, telecommunicationsnetwork

    Pipelines for water, crude oil, slurry,waterways

    Canal networks for irrigation, sanitationor sewerage

    Out of the above, power, roads, seaports &

    airports form a major chunk of required

    /envisaged investment (public and private)

    w.r.t physical infrastructure development.

    As an investment asset class,

    infrastructure has the following:

    Basic Characteristics:

    Building infrastructure is a capital-intensive process, with large initial costs

    and low operating costs.

    It requires long term finance as thegestation period is often much longer than

    say a manufacturing plant

    These projects are characterized bynon-recourse or limited-recourse financing;

    i.e. lenders can only be repaid from the

    revenues generated from the project

    Market and commercial risks related touncertainty of demand (traffic) forecasts

    are of greater importance

    Have unique risks of public interestnature of most projects and interface with

    regulators and Govt. agencies

    Infrastructure Financing

    - India

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    In some cases, projects have significantexternalities wherein the social returns

    exceed the private returns which inturn calls for some form of subsidization like

    Viability Gap Funding, Govt. guarantees,grants, etc

    Funding of an infrastructure project takes

    place with an objective of:

    Financing a single purpose capital asset

    within a Legally independent project

    company (SPV) usually with a limited life

    Structure of Infra financing:(Diagram on

    next page)

    Project Financing is an option granted by

    the financier- exercisable when an entity

    demonstrates that it can generate cash

    flows in accordance with long term

    forecasts. The assets, rights and interests of

    the development are usually structured into

    a special purpose vehicle (SPV) and are

    legally secured to the financiers as

    collateral. A typical example of

    arrangements made by a SPV of an

    infrastructure project is shown below:

    Developer/Promoters perspective

    (Shareholders): To maximize ROE and

    minimize the payback period of the equity

    investment.

    Lenders perspective: Financial viable

    project with scheduled repayment(s) of

    loan and visibility of future cash flows with

    maximum certainty

    Authoritys perspective: Timely

    implementation of the project with

    maximum utility to the users of the

    infrastructure at minimum cost to the ex-

    chequer.

    Purchaser/Customers perspective:

    Availability of better quality infrastructure

    at affordable cost.

    The satisfactory combination of the above 4

    stakeholders leads to a somewhat

    practically unattainable solution but has to

    be dealt with in a non-orthodox way by

    safeguarding each stakeholders interests

    which calls for usage of innovative financial

    products or in simple terms Financial

    Engineering

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    Infrastructure Finance Indian scenario:

    India is among the top 3 fastest growing

    economies in the world; however, the GDP

    growth is constrained by lack of

    infrastructure development in the country

    which is evident from the fact that:

    (Source: World Economic Forums Global Competitiveness Index)

    India ranks 91st

    in the world in availability of

    overall quality of infrastructure.

    India'slogistic cost as a percentage of

    theGDP is unusually high - double that of

    developed countries and substantially

    higher than BRIC countries

    India's over dependence on road freight

    means that logistic cost as a percentage of

    GDP is as high as 13%-14% compared to

    7%-8% in developed countries and 9%-10%

    in other BRIC countries

    Indias industries suffer from chronic power

    cuts; exports are delayed because of poor

    roads and congested ports. Office-goers

    spend hours stuck in traffic; villagers get

    electricity for only 6 to 8 hours a day.

    Economists estimate that ~ 2 % of GDP is

    lost owing to poor infrastructure.

    http://timesofindia.indiatimes.com/topic/logistic-costhttp://timesofindia.indiatimes.com/topic/Gdphttp://timesofindia.indiatimes.com/topic/Gdphttp://timesofindia.indiatimes.com/topic/logistic-cost
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    Considering all of the above:

    Indias growing economy is placing hugedemands on development of critical

    infrastructure power, roads, railways,

    ports, transportation systems, and water

    supply and sanitation

    If steps are taken in right direction, itwill put the ball rolling for even higher GDP

    growth and a more prosperous economy in

    the near future (5-7 years)

    This subsequently would lead to higherdemand of capital to fund these projects

    While the government has raised its

    investments in infrastructure, the

    investment gap remains daunting with an

    estimated $1 trillion required to meet the

    countrys resource needs over the next five

    years. Investment in infrastructure has

    made significant strides, from 5 % of GDP a

    decade ago to a projected 10 % of GDP

    during the Twelfth Plan (2012-2017) As

    seen above, financing of this type of

    investment in infrastructure would require

    large outlay from the private sector

    Private investment avenues: Funding

    avenues for projects comprise of

    commercial banks, NBFCs, Insurance Cos,

    ECBs, Equity (including FDI), Debt Funds,

    private equity, ECBs, etc.

    However, structural and regulatory barriers

    that impede the flow of domestic capital

    into infrastructure are:

    AssetLiability mismatch and exposurelimits of banks

    High pre-emption of funds from thebanking system

    Investment restrictions on long-termsavings mobilizers namely Insurance cos,

    pension & provident funds

    The shallowness of Indias corporatebond market

    Constrained supply of ECBs Takeout financing offers a window tothe banks to free their balance sheet from

    exposure to infrastructure loans, lend to

    new projects and also enable better

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    management of the asset liability position.

    However the mechanism has not really

    emerged as a game-changer as it does not

    envisage equitable distribution of risks and

    benefits.

    Financiers will now need to take on this

    new challenge of how to structure their

    business model(s) to build a high-return

    business in financing infrastructure

    projects. Infrastructure projects need many

    financial products and services beyond debt

    and equity capital

    What can be done to boost availability of

    capital?

    The bank-dominated financial system has

    been able to step up and meet the needs of

    the first wave of private investment in

    infrastructure. Going forward, the

    magnitude of required infrastructure

    funding is huge and shall require the

    following:

    Making the Infrastructure Project(s)Commercially Viable

    This is the first and foremost thing to be

    done for financing infrastructure in a

    sustainable manner. This will lead to

    sustainable development of infrastructure

    without jeopardizing the soundness of the

    financial sector. Project appraisal and

    follow-up capabilities of many banks,

    particularly public sector banks, also need

    focused attention and upgradation so that

    project viability can be properly evaluated

    and risk mitigants are provided where

    needed.

    Greater Participation of StateGovernments

    In a federal country like India, participation

    and support of the State governments is

    essential for developing high quality

    infrastructure. Thus greater participation

    from states is the call now. This would lead

    to progress of states along with the country.

    Improving efficiency of the CorporateBond Market

    The bond market is not that vibrant now.

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    A vibrant corporate bond market will

    reduce the dependence on the banking

    sector for funds. It is important to broad

    base the investor base by bringing in new

    classes of institutional investors (like

    insurance companies, pension funds,

    provident funds, etc.) apart from banks into

    this market. As of now, the insurance and

    pension funds are legally required to invest

    a substantial proportion of their funds in

    Government Securities. These investment

    requirements limit their ability to invest in

    infrastructure bonds. Further, they can only

    invest in a blue chip stock, which is also

    acting as a limiting factor since most of the

    SPVs created for infrastructure funding are

    unlisted entities.

    Credit EnhancementOne of the major obstacles in attracting

    foreign debt capital for infrastructure is the

    sovereign credit rating ceiling. Domestic

    investors are also inhibited due to high level

    of credit risk perception, particularly in the

    absence of sound bankruptcy framework. A

    credit enhancement mechanism can

    possibly bridge the rating cap between the

    investment norms, risk perceptions and

    actual ratings.

    Simplification of Procedures EnablingSingle Window Clearance

    It is well recognized that while funding is

    the major problem for infrastructure

    financing, there are other issues which

    aggravate the problems of raising funds.

    These include legal disputes regarding land

    acquisition, delay in getting other

    clearances (leading to time and cost

    overruns) and linkages (e.g. coal, power,

    water, etc.) among others. It is felt that in

    respect of mega-projects, beyond certain

    cut-off point, single window clearance

    approach could cut down the

    implementation period. Moreover, we also

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    need to develop new financial markets for

    municipal bonds to enable infrastructure

    financing at the grass root levels. We need

    to create depth, liquidity and vibrancy in

    the G-Sec and corporate bond market so as

    to enable rising of finance and reduce

    dependence on the banking system. At the

    same time, there is a need to widen our

    investor base and offer adequate risk

    mitigating financial products, such as, Credit

    Default Swaps (CDS). A vibrant G-Sec

    market would facilitate growth of the

    corporate debt market thereby enabling

    fund flow through alternate means apart

    from banks

    Way Forward:

    Once we solve the peripheral but critical

    issues with regards to financing, it will

    greatly facilitate flow of funds to the

    projects and help in maintaining asset

    quality to the comfort of the lenders and

    other stakeholders. Accelerated

    infrastructure investments will not only de-

    bottleneck the system, it will also create its

    own demand. There cant be a better

    example than China, which has built

    infrastructure at a spectacular pace. As a

    resultsince the Eightiesit has seen

    double digit growth and defied the boom

    bust theory of economic cycles.

    Solving the critical issues withregards to financing will

    greatly facilitate flow of funds

    to the projects and help in

    maintaining asset quality to

    the comfort of the lenders and

    other stakeholders.

    Accelerated infrastructure

    investments will not only de-

    bottleneck the system, it will

    also create its own demand.

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    - By Hitesh RohiraSIMSREEIntroduction

    Banking industry is the backbone of any

    economy and hence has always attracted

    the attention of policy makers, industrialists

    as well as of academicians. It acts a catalyst

    to build the economy. Historically, banking

    industry in India has been dominated by a

    handful of industrialist, who exploited it for

    their personal benefits. Post independence

    Government has tried to increase the reach

    of banks through measures like

    nationalization initially and later on through

    liberalization but unfortunately banking

    industry has remained concentrated only in

    urban areas leaving poor people outside the

    system. More than 40% of Indian

    population does not have access to the

    banking system. So there was a need to

    consider issuing new banking licenses for

    NBFCs and corporate houses. Will it be

    really beneficial without any side-effects or

    its a necessary evil which is being

    implemented even after knowing the side

    effects? This question has delayed the final

    decision and implementation up till 2013

    after the idea was conceived in 2010.

    Need and Initial Steps

    A large part of the sector is government-

    owned since most major banks were

    nationalized in 1969. But a significant jump

    in coverage means large investments and

    the government doesn't have the money.

    Already the investments in infrastructure

    planned for 12th 5yr plan would be a big

    task as it would call for raising the spending

    on infrastructure to 7-8 per cent of GDP

    from the present level of 2-3 per cent. But

    financial inclusion and competitive banking

    are also important. Hence they considered

    opening up the banking system for

    industrial houses and NBFCs and go for new

    banking licenses after last issued license of

    Yes Bank (2004).

    UPA government in its election manifesto

    has promised to increase the pace of

    financial inclusion and since then has taken

    measures like Unique Identification Number

    Banking Licenses for the

    NBFCs: A Necessary Evil?

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    (UID) initiative, which would do away with

    the hassles of KYC (Know Your Customers)

    norms. The RBI's major objection was that it

    didn't have enough powers to regulate the

    new banks. The agency could remove an

    errant director, but if an entire bank board

    connived in a fraud, it was helpless. But, the

    Banking Laws (Amendment) Bill, which gives

    the RBI more power, has been cleared by

    the Lok Sabha in December 2012, as a part

    of the government's new reforms package

    which has arrived with 2014 elections in

    mind. RBI has also taken a crucial step to

    achieve this objective. It intends to provide

    an opportunity to not only the NBFCs but

    also, for very first time to the industrialhouses to participate in financial inclusion

    by expanding banking net to the lower

    strata of our society.

    RBI has been extremely cautious, taking

    more than 2 years in carving out the

    guidelines and making corrections,

    clarifications which would provide

    directions for selection or rejection of a

    particular private player for assigning

    banking license.

    Major considerations for Allowing/

    Disallowing Industry houses to run banking

    services are:

    Advantages:

    Faster-Processing: As per a researchloans sanctioned to the existing customers,

    vendors, dealers-distributors of the

    industrial unit are processed 40-45% times

    faster than those done by the banks due to

    quicker due-diligence of the clients through

    already available data.

    Knowledge-Transfer: The existingindustrial houses can also extend the

    management expertise and strategic

    direction of their existing NBFC experience

    to the affiliated banks.

    Financial Inclusion: The compulsion ofhaving certain percent of branches in

    unbanked rural areas would serve for

    betterment of Rural India and help in

    Financial Inclusion and thus contribute to

    the economy more effectively.

    Competitive Financial Services Sector:This would improve the quality of financial

    services as there would be more

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    competition among the new and old

    players. Also this would increase

    employment and reduce costs of service to

    some extent.

    Disadvantages:

    Self Dealing: Self-dealing means thatthe parent industrial company that set up

    the bank can route funds to its own

    purposes not considering the depositors

    interests. There exists a possibility that a

    bank affiliated to a commercial firm may

    deny loans to its competitors.

    Connected Lending: Also, the risk ofconnected lending to companies or

    suppliers within the group cannot be ruled

    out. Such rotation of funds among related

    parties can make it difficult for the

    regulator to trace the sources and

    utilization of funds.

    Conflict of Interest: The industrial houses

    might take undue advantage to maximize

    their profits while selling various

    instruments, especially when they are

    catering to uneducated people from rural

    areas.

    Cautious implementation amidst mixed

    reaction:

    According to the joint IMF-World Bank

    Financial Stability Assessment Program

    (FSAP) for India, the risks in the current

    context for new bank licenses may

    outweigh the benefits. On the other hand,

    Boston Consulting Group expects Indian

    Banking Sector to be third largest i.e. only

    next to US and Japan by 2025 with such

    reforms. Also market sentiments show

    positive response.

    RBI policy on banks acknowledges these

    risks and aims to address them through

    several prudent means with NOHC being an

    important one of them. It has already

    opened application for licenses which has

    to be done before 1st

    July 2013 and the

    applicants would be listed on RBIs website

    for transparency. Applications will be

    screened by RBI and referred to a high level

    advisory committee. Tata, Birla, Reliance

    and Mahindra Groups might be the big

    conglomerates who would want a piece of

    action. Others include L&T, SKS

    Microfinance, LIC and IDFC.

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    The following are the major guidelines

    issued by RBI (as quoted since August 2011

    to March 2013) for new banking licenses

    followed by the rationale for each:

    It is proposed that the initial minimumpaid-up capital for a new bank shall be Rs

    500 crore and that a wholly-owned non-

    operative holding company (NOHC) will

    hold the existing businesses and the newly

    created bank within itself. Only the non-

    financial companies can have a

    shareholding in the NOHC. The NOFHC and

    the bank shall not have any exposure to the

    Promoter Group. The bank shall not invest

    in the equity / debt capital instruments of

    any financial entities held by the NOFHC.

    The minimum capital requirement of 500

    crore is laid down such that the capital

    requirement is not significantly high or not

    meager. A very low minimum capital

    requirement (of 200 crore) could attract

    non-serious entities without inadequatefinancial resources to seek for licenses. In

    such small scale entities, operational

    inefficiencies may exist as they cannot take

    advantage of economies of scale. Further,

    there is always a risk of an early wiping off

    of the initial capital. Such small scale banks

    would also not be able to invest in

    technology. While a low minimum capital

    requirement has these disadvantages, a

    very high minimum cap requirement (say

    1000 crore) would evince only those with

    high funds. Such entities would be profit

    oriented and could divert funds to big-ticket

    corporate thereby diluting the purpose of

    financial inclusion. Thus the requirement of

    high enough entry capital can be fulfilled

    only by entities with large surplus of funds

    that are readily available with the industrial

    houses. It could also act as contingent

    capital for banks in case of financial shocks.

    The creation of an NOHC would enable in

    separating the activities of each of the

    subsidiary companies from another and

    help in greater regulation by separate

    regulators in each of the segmented

    spheres. The NOHC will only act as a vehicle

    to hold the investments on behalf of the

    promoter/promoter group and will not be

    allowed to accept deposits. NOFHC should

    hold a minimum of 40 per cent of the equity

    capital of the bank with a lock-in period

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    of five years. Later, it has to be brought

    down to 15 percent within 12 year from

    that onwards. Further, 50 per cent of

    directors (increased to a majority in some

    cases) must be independent of the

    promoter; and the bank, group entities,

    non-operating holding company, and the

    promoter would be subject to RBIs

    consolidated supervision.

    Excepting promoters/promoter groupsthat generate more than 10% of revenues or

    have 10% of assets in real estate or broking

    services, all private sector players are

    eligible to promote banks. The exposure of

    the bank to any entity in the promoter

    group shall not exceed 10 per cent and the

    aggregate exposure to all the entities in the

    group shall not exceed 20 per cent of the

    paid-up capital and reserves of the bank.

    A clear NO to the businesses in broking

    services which comes as lessons from

    international experience was also suggestedby RBI in 2011 owing to the recent financial

    crises. However, after consultation with the

    finance ministry, RBI removed this

    conditionin 2013in the final guidelines

    released recently. It also allowed public

    sector entities to apply for the license. But

    winning a license may be tougher for

    broking and real estate companies as the

    central bank has stipulated that bank

    promoters business culture should not be

    misaligned with the banking model.

    Groups with diversified ownership,sound credentials and integrity that have a

    successful track record for at least 10 years

    shall be eligible to promote banks and RBI

    may seek feedback on applicants from

    other regulators and agencies like Income

    Tax, CBI, Enforcement Directorate, etc.

    This rule out the first-generation

    entrepreneurs setting up a new bank. Also

    this would ensure that only financially

    strong companies or groups go for new

    banks.

    The newly formed banks must have 25 %of their branches in unbanked rural areas.

    The banking regulator put a stricter

    condition of having 25% of its branches in

    unbanked rural areas with population up to

    9,999. Many believe, for a new banking

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    19

    entity, it will be stumbling block as the brick

    and mortar model especially in rural areas

    take time to turn profitable. In line with

    existing domestic norms, the new bank

    should also achieve priority sector lending

    target of 40%. Interestingly, most of the

    existing banks are failing to meet the target.

    But, this is to ensure financial inclusion

    which is the most important criteria for

    evaluating the applicants for licenses

    according to Governor of RBI.

    Other important guidelines:- New banks to get listed within 3 years of

    business.

    - FDI is capped at 49% for the first five years

    after which it can extend as per policy

    norms.

    Conclusion

    With the advantages and disadvantages

    known, acknowledging them RBI is taking

    cautious steps in issuing new bank licenses

    with prudent guidelines. So the net effect

    will mostly be positive. It will infuse greater

    competition and thus efficiency in the

    sector and perhaps a little volatility. But it

    would help in achieving financial inclusion

    in the long term.

    References:

    1. www.rbi.org.in/2. www.moneycontrol.com3. www.bseindia.com4. www.economictimes.indiatimes.co

    m/

    5. www.financialexpress.com6. http://knowledge.wharton.upenn.e

    du/india/

    7. http://www.business-standard.com/article/finance/nod-

    to-realtors-and-brokerages-if-fit-

    and-proper-chakrabarty-

    113022600275_1.html

    8. http://www.thehindubusinessline.com/industry-and-

    economy/banking/new-bank-

    licences-risks-outweigh-benefits-in-

    current-context/article4313334.ece

    9. http://www.livemint.com

    http://www.rbi.org.in/http://www.moneycontrol.com/http://www.bseindia.com/http://www.economictimes.indiatimes.com/http://www.economictimes.indiatimes.com/http://www.economictimes.indiatimes.com/http://www.economictimes.indiatimes.com/http://www.financialexpress.com/http://knowledge.wharton.upenn.edu/india/http://knowledge.wharton.upenn.edu/india/http://knowledge.wharton.upenn.edu/india/http://knowledge.wharton.upenn.edu/india/http://www.business-standard.com/article/finance/nod-to-realtors-and-brokerages-if-fit-and-proper-chakrabarty-113022600275_1.htmlhttp://www.business-standard.com/article/finance/nod-to-realtors-and-brokerages-if-fit-and-proper-chakrabarty-113022600275_1.htmlhttp://www.business-standard.com/article/finance/nod-to-realtors-and-brokerages-if-fit-and-proper-chakrabarty-113022600275_1.htmlhttp://www.business-standard.com/article/finance/nod-to-realtors-and-brokerages-if-fit-and-proper-chakrabarty-113022600275_1.htmlhttp://www.business-standard.com/article/finance/nod-to-realtors-and-brokerages-if-fit-and-proper-chakrabarty-113022600275_1.htmlhttp://www.business-standard.com/article/finance/nod-to-realtors-and-brokerages-if-fit-and-proper-chakrabarty-113022600275_1.htmlhttp://www.business-standard.com/article/finance/nod-to-realtors-and-brokerages-if-fit-and-proper-chakrabarty-113022600275_1.htmlhttp://www.thehindubusinessline.com/industry-and-economy/banking/new-bank-licences-risks-outweigh-benefits-in-current-context/article4313334.ecehttp://www.thehindubusinessline.com/industry-and-economy/banking/new-bank-licences-risks-outweigh-benefits-in-current-context/article4313334.ecehttp://www.thehindubusinessline.com/industry-and-economy/banking/new-bank-licences-risks-outweigh-benefits-in-current-context/article4313334.ecehttp://www.thehindubusinessline.com/industry-and-economy/banking/new-bank-licences-risks-outweigh-benefits-in-current-context/article4313334.ecehttp://www.thehindubusinessline.com/industry-and-economy/banking/new-bank-licences-risks-outweigh-benefits-in-current-context/article4313334.ecehttp://www.thehindubusinessline.com/industry-and-economy/banking/new-bank-licences-risks-outweigh-benefits-in-current-context/article4313334.ecehttp://www.thehindubusinessline.com/industry-and-economy/banking/new-bank-licences-risks-outweigh-benefits-in-current-context/article4313334.ecehttp://www.livemint.com/http://www.livemint.com/http://www.thehindubusinessline.com/industry-and-economy/banking/new-bank-licences-risks-outweigh-benefits-in-current-context/article4313334.ecehttp://www.thehindubusinessline.com/industry-and-economy/banking/new-bank-licences-risks-outweigh-benefits-in-current-context/article4313334.ecehttp://www.thehindubusinessline.com/industry-and-economy/banking/new-bank-licences-risks-outweigh-benefits-in-current-context/article4313334.ecehttp://www.thehindubusinessline.com/industry-and-economy/banking/new-bank-licences-risks-outweigh-benefits-in-current-context/article4313334.ecehttp://www.thehindubusinessline.com/industry-and-economy/banking/new-bank-licences-risks-outweigh-benefits-in-current-context/article4313334.ecehttp://www.business-standard.com/article/finance/nod-to-realtors-and-brokerages-if-fit-and-proper-chakrabarty-113022600275_1.htmlhttp://www.business-standard.com/article/finance/nod-to-realtors-and-brokerages-if-fit-and-proper-chakrabarty-113022600275_1.htmlhttp://www.business-standard.com/article/finance/nod-to-realtors-and-brokerages-if-fit-and-proper-chakrabarty-113022600275_1.htmlhttp://www.business-standard.com/article/finance/nod-to-realtors-and-brokerages-if-fit-and-proper-chakrabarty-113022600275_1.htmlhttp://www.business-standard.com/article/finance/nod-to-realtors-and-brokerages-if-fit-and-proper-chakrabarty-113022600275_1.htmlhttp://knowledge.wharton.upenn.edu/india/http://knowledge.wharton.upenn.edu/india/http://www.financialexpress.com/http://www.economictimes.indiatimes.com/http://www.economictimes.indiatimes.com/http://www.bseindia.com/http://www.moneycontrol.com/http://www.rbi.org.in/
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    - By SIMSREE Finance ForumThe Financial Sector Legislative Reforms

    Commission was setup post the

    announcement by Hon. Pranab Mukharjee

    during the 2011-12 budget. It was setup to

    help rewriting and harmonizing of thefinancial sector legislation, rules and

    regulations so as to address the immediate

    and future requirements of the sector. The

    Commission was chaired by Supreme Court

    Justice (Retired) B. N. Srikrishna, and had

    ten members with expertise in the fields of

    finance, economics, law and other relevantfields.

    It published its report and has

    recommended a series of changes in the

    entire financial; regulatory and legislative;

    setup. According to the report: The setting

    up of the Commission was the result of a

    felt need that the legal and institutional

    structures of the financial sector in India

    need to be reviewed and recast in tune with

    the contemporary requirements of the

    sector. Over the years, as the economy and

    the financial system have grown in size and

    sophistication, an increasing gap has come

    about between the requirements of the

    country and the present legal and

    regulatory arrangements. Unintended

    consequences include regulatory gaps,

    overlaps, inconsistencies and regulatory

    arbitrage. The fragmented regulatory

    architecture has led to a loss of scale and

    scope that could be available from a

    seamless financial market with all its

    attendant benefits of minimizing the

    intermediation cost. The remit of the

    Commission is to comprehensively review

    and redraft the legislations governing

    Indias financial system, in order to evolve a

    common set of principles for governance of

    financial sector regulatory institutions.

    Financial Sector Legislative

    Reforms Commission

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    21

    At present the financial market is regulated

    by RBI, SEBI, IRDA, PFRDA and FMC which

    have evolved over the years. The present

    arrangement has gaps for which no

    regulator is in charge such as the diverse

    kinds of ponzi schemes that periodically

    surface in India, which are not regulated by

    any of the existing agencies. It also contains

    overlaps where conflicts between

    regulators have consumed the energy of

    top economic policy makers and held back

    market development. This causes a great

    deal of difficulty in getting issues resolved

    and the solutions to problem get prolonged.

    Various examples are present for instance,

    ULIP scheme, the aggrieved consumer wasbeing subjected under the jurisdiction turfs

    between SEBI and IRDA. This kind of egoistic

    tendency would be eliminated if a common

    grievance redressal system is erected.

    When a regulator focuses on one sector,

    certain unique problems of public

    administration tend to arise. Assisted by

    lobbying of financial firms, the regulator

    tends to share the aspirations of the

    regulated financial firms, such as low

    competition, preventing financial

    innovation in other sectors, high

    profitability, and high growth. These

    objectives often conflict with the core

    economic goals of financial regulation such

    as consumer protection and swift

    resolution. Reflecting these difficulties, the

    present Indian financial regulatory

    architecture has, over the years, been

    universally criticized by all expertcommittee reports. The Commission has

    analyzed the recommendations for reform

    of financial regulatory architecture of all

    these expert committee reports and

    weighed the arguments presented by each

    of them.

    Architecture of the Regulator

    As per FSLRCs recommendations, the

    current list of regulators would be replaced

    by a horizontal structure whereby the basic

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    22

    regulatory and monitoring functions of all

    areas would be done by a Unified Financial

    Agency (UFA) while RBI takes care of

    banking and monetary policies. All

    consumer complaints will be handled by a

    Financial Redressal Agency (FRA) and there

    will be a single tribunal, the Financial Sector

    Appellate Tribunal (FSAT) which will hear

    appeals regarding the entire sector. This

    new horizontal structure serves the

    interests of the consumers of financial

    services much better. Apart from this a

    separate agency would be formed for the

    purpose of deciding on bank interest rates.

    The commission feels that this structure will

    reduce the complexities both for consumersand investors thus avoiding all the

    complications like conflicts between two

    regulators and others which make it difficult

    for foreign investors to carry out their

    businesses in India.

    The following table gives an idea about the

    present and proposed structure of the

    regulator.

    PRESENT PROPOSED

    1. RBI 1. RBI

    2. SEBI

    2. UFA (Unified

    Financial

    Authority)

    3. FMC (Forward

    Markets Commission)

    4. IRDA (Insurance

    Regulatory and

    Development Authority)

    5. PFRDA(Pension Fund

    Regulatory and

    Development Authority)

    6. SAT (Securities

    Appellate Tribunal)

    3. FSAT (Financial

    Sector Appellate

    Tribunal

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    23

    7. DICGC (Deposit

    Insurance and Credit

    Guarantee Corporation)

    4. Resolution

    Corporation

    5. FRA (Financial

    Redressal Agency)

    6. PDMA (Public

    Debt Management

    Agency)

    8. FSDC (Financial Stability and Dvlpmt Council)

    Advantages of having a unified regulator

    Accountability and Consumerfriendliness: There can be cases where the

    consumer is being subjected to the

    jurisdiction of more than two regulators. In

    such cases there is always an ego problem

    between the regulators and hence it is the

    consumer who suffers because of delayed

    redressal of complaints.

    Creating checks on the regulators: Thecommission also provides for a written legal

    framework i.e. rule of law in decisions of

    RBI and other regulators. At present there is

    little scope to challenge the policy decisions

    of RBI and SEBI. They are not accountable

    to government or court and neither to

    public. No one could question them even if

    their targets are not achieved. However

    when the recommendation of FSLRC are

    implemented there would be certain

    objectives which the RBI is bound to

    achieve and certain rules by which it can

    take decisions. The decision could be

    challenged in tribunals if found to be faulty.

    This is creates a mechanism of

    accountability by creating proper checks

    and balances. So a written framework

    which bridges the accountability and

    Independence is welcome.

    Separating complaints and regulators:In the new proposal consumer complaints

    will be separated from the regulator. This is

    important because certain classes of

    consumer complaints are full of mistakes or

    oversights by the regulator at their root.

    Recognizing this root cause meansadmitting to its own flaw, something that is

    hard for any organization. If there is a

    separate complaints redressal authority

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    then such mistakes can be easily identified

    and corrected.

    Splitting NBFCs from the RBIs ambit:At present we have a clumsy system for

    governing NBFCs where often regulatory

    differences arise among RBI, SEBI and NHB.

    There are some NBFCs which take deposits

    while others dont. The committee has

    proposed a concrete split i.e. banking and

    payments with RBI while rest of the areas

    lies with UFA. So the NBFCs taking deposits

    comes under the purview of RBI and rest of

    them goes with UFA.

    Distributing the power to make decisions

    for monetary policy: Monetary policy

    commission will be consisting 7 members

    where 5 members would be nominated by

    the government, out of five nominated

    members 2 members will be appointed in

    consultation with RBI and 3 members at

    governments discretion. The advantage is

    that a committee of experts would be in a

    better position to take such decisions than a

    single official. After all, collective decision-

    making is generally viewed as reducing the

    probability of error.

    Disadvantages of a unified regulator

    Practical implementation: Just mergingexisting setups under a single banner may

    look good on paper but may not actually

    eliminate the regulatory complexities. Its

    practical execution will be quite difficult.

    SEBI, IRDA, FMC and PFRDA etc could easily

    continue operating as isolated departments

    of a nominally unified financial regulator.

    Cross-selling menace of the banks toremain: Banks sometimes take advantage

    of the customers trust to sell a variety of

    other products which the customer might

    not require or afford. Mostly rural

    housewives and old aged pensioners fallprey to this as they are not so financially

    literate. RBI should see that in the name of

    increasing business and profit the private

    banks are creating barriers for common

    people by asking high minimum balance

    and charging exorbitant amount in case of

    fall in minimum balance leading to closureof many accounts. The proposal by the

    commission is silent on this topic. Thus

    before going forward it should be made

    sure that people are not at loss.

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    Increased government control over theregulators: At present the RBI and other

    regulators are independent of the

    government and their decisions are not

    influenced by the government. However the

    new proposal will increase the government

    control over the decision making. Especially

    in case of the monetary policy decisions,

    the seven member team will have 5members nominated by the government

    who might be influenced by government

    officials to alter or even change the

    decisions.

    Impact on the powers of RBI:

    Presently the finance ministry makes

    rules regarding FDI but the rules regarding

    FIIs, External Commercial Borrowings

    (ECBs), forex loans and fund inflows from

    NRIs are made by the RBI. However once

    the recommendations are accepted these

    powers will no more be with the RBI. This

    can create a problem especially in asituation when the current account deficit

    (CAD) is burgeoning.

    The RBI will be given specific targets which

    it has to attain within a specified frame of

    time. These objectives and targets will be

    failure standards by which the central bank

    will be measured. Such a thing can put RBI

    under a lot of pressure and can affect its

    working. However until and unless it is

    known what are these targets? Is there a

    possibility of assigning weights to these

    targets at different circumstances? All these

    are important part.

    The possibility of RBI meeting inflation and

    growth targets in India where much power

    is held by the government is very less. The

    FSLRC suggests around 5 odd reforms and it

    has to be decided whether all of them have

    to be implemented at the same time or in a

    particular sequence. These are analytical

    questions which need to be answered

    before the recommendations can be

    implemented.

    Thus on the whole the reforms are a step in

    the right direction but its implementation

    and effectiveness still remain a challenge.

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    SIMSREE

    Sydenham Institute of Management Studies Research & Entrepreneurship

    Education (SIMSREE) was founded in the year 1983 by Government of

    Maharashtra. Since then, SIMSREE has been continuously ranked as one of

    the Premier Institutes of our country, and it attracts the finest management

    minds from India. SIMSREE has been consistently ranked among Top 20

    Business Schools in India. CRISIL has recently rated SIMSREE with A*** at

    state level (Maharashtra) and A** at National level.

    SIMSREE Finance Forum

    SFF is a student body that strives to assist the students in the development of

    financial acumen through collective effort. The Forum aims to bridge the

    gap between students and corporate leaders through various Interactive

    Sessions on a regular basis. Various Programs & Events form part of our

    Forums initiatives to provide the students with a multitude of opportunities.

    SIMSREE

    B Road, Churchgate

    Mumbai 400 020, India

    [email protected]

    Blog: http://simsreefinanceforum.blogspot.in/