Foreign Exchange Management Act (FEMA) stipulates
that all foreign exchange transactions are required to be routed only through
the entities that are licenced by the Reserve Bank to undertake such transactions.
Such entities are defined as Authorised persons in Section 10 of the Act. Under
current dispensation, such authorised person may be :
a. A Commercial bank (AD), or
b. A Money changer (FFMC), or
c. Any financial institution authorised for
limited kind of transactions, depending on their activity, or
d. Any other entity authorised by the Reserve Bank.
Enhanced Access to Common Person
2. With the progressive liberalisation in foreign
exchange related transactions common person can now undertake variety of current
account transactions without approaching the Reserve Bank. A large segment of
population is increasingly getting connected with forex transactions of an expanding
nature on individual accounts. Taking into account the day-to- day needs of
(a) common persons for undertaking various transactions, (b) tourists for better
encashment services and (c) requests received from existing FFMCs there is a
felt need for widening and rationalizing the intermediate tier of authorized
persons which is licenced to undertake foreign exchange transactions to meet
the day-to-day needs. These would cater to tourists for encashment and common
persons for release of foreign exchange for medical treatment, education, employment,
travel related transactions and in general a large variety of current account
transactions that are not trade transactions. Therefore, with a view to liberalising
and rationalising the scope of activities currently undertaken by the authorized
persons an internal Group consisting of Shri H. Battacharya, CGM-I-C, DEIO,
Shri G. Padmanabhan, CGM-I-C, DIT and Shri Vinay Baijal, CGM, FED was constituted
to study the related issues and make recommendations keeping in view the need
for enhanced as well as wider access and accompanying safeguards, especially
reporting requirements.
The observations and recommendations of the
Group are detailed in following paragraphs.
3. Legal Frame work
3.1 Section 10 (1) of FEMA enables Reserve
Bank to authorise any person to be known as Authorised Person (AP), to deal
in foreign exchange or foreign securities, as an Authorised Dealer (AD),
Money Changer (MC) or Offshore Banking Unit (OBU) or in any other manner
as it deems fit. The Bank has therefore wide discretion to authorise a person
as AD or MC or OBU or in any other manner, and all such persons would be
known as 'authorised person.' Within the broad categories of AD or MC or
OBU, it may be permissible to have sub-categories. There should however
be clear eligibility norms for the classification and the norms should have
nexus with the object of classification.
3.2 The authorization is subject to the
conditions laid down therein. The conditions may be for the purpose of ensuring
continued eligibility for conducting the authorised business, and/or relatable
to the conduct of business. While there may be standard conditions uniformly
applicable to all APs or applicable to APs in a category/sub-category, there
may also be special conditions applicable in a particular case on the facts
thereof.
4. Existing arrangement
4.1 The Reserve Bank has currently authorized
976 entities as authorised persons in following categories :
Category of license ( Number)
|
Entities
|
Major Activities
|
Authorised Dealers
(87)
|
Commercial Banks - 84;
State Co-operative Bank - 1;
Urban Co-operative Bank - 2.
|
All permissible current and capital
account transactions
|
Financial Institutions
(9)
|
Financial Institutions – 4
(EXIM, IFCI, SIDBI ,CCIL)
Factoring Agencies – 5
|
Activities related to financing of international
trade undertaken by these institutions
|
Full Fledged Money Changers
(879)
|
Department of Post
Urban Cooperative Bank – 9
Other FFMCs – 869
|
Sale/Purchase of foreign exchange for private and business
visits abroad
|
Others
(1)
|
Thomas Cook India Ltd.
|
Specified non trade related current
account transactions
|
Total (976)
|
4.2 Details of the various activities that each
of these categories can undertake are given in Annex - I.
5. Review
5.1 The Reserve Bank has been receiving
representations from existing Full Fledged Money Changers (FFMCs) requesting
to expand the scope of the foreign exchange transactions that they are permitted
to undertake. These requests were revisited by the Group in the light of
on going liberalisation in foreign exchange transactions, convenience of
the tourists, improved technology and with an object to rationalize the
institutional structure and expand the number of entities eligible to undertake
foreign exchange transactions, while ensuring appropriate safeguards against
misuse.
5.2 In the light of the above, the Group
had detailed discussions on the transactions that various entities are permitted
to undertake and also the growing need of the common person and tourist
for foreign exchange transactions in the light of progressive liberalization
over the last 15 years as well as globalization of the Indian economy. The
Group feels that there is a distinct growing demand to undertake current
account foreign exchange transactions that are not related to trade but
are required to meet miscellaneous needs of common person like fees and
maintenance expenses of students, foreign exchange for medical treatment
etc.
6. Recommendations
6.1 With a view to providing adequate foreign
exchange facilities to common persons the Group, observes that for efficient
customer service through competition there is a need to widen the scope
of activities which the Authorised persons are eligible to undertake and
also to increase the number of entities that are eligible to sell foreign
exchange to public for their day-to-day current account transactions.
The Group, therefore, recommends that Reserve Bank may consider granting
licences to certain entities to undertake some more transactions, in addition
to what FFMCs are currently permitted, by authorizing them to undertake
certain non-trade related current account transactions. Such entities may
be called Restricted Authorised Dealers (Restricted ADs).
6.2 Proposed Classification of Entities
Sl. No.
|
Category of license (Number)
|
Entities
|
Major Activities
|
1
|
Authorised Dealers
|
Commercial Banks ,
State Co-op Bank ,
Urban Co-op Bank ,
|
All current and capital account transactions
according to RBI directions issued from time-to-time.
( No Change)
|
2.
|
Restricted Authorised Dealers (RADs)
|
|
|
i)
|
Category-I
|
Financial Institutions
EXIM, IFCI, SIDBI ,CCIL and
Factoring Agencies
|
Activities incidental to financing of
international trade related activities undertaken by these institutions.
(No Change)
|
ii)
|
Category-II
|
- Upgraded FFMCs
- Select UCBs
- Select RRBs
- Thomas Cook India Ltd.
|
Specified non-trade related current account
transactions as at para. 6.3 of the Report
|
3
|
Full Fledged Money Changers (FFMCs)
|
Department of Post
Urban Coop Bank
Other FFMCs
|
Sale/Purchase of foreign exchange for
private and business visits Abroad.
(No Change)
|
6.3 The Group recommends that RADs-Category
II may be permitted to release foreign exchange for the following transactions:
a. Private Visits,
b. Remittance by tour operators / travel
agents to overseas agents / principals / hotels,
c. Business Travel,
d. Fee for participation in global conferences
and specialized training,
e. Remittance for participation in international
events / competitions (towards training, sponsorship and prize money).
f. Film shooting,
g. Medical Treatment abroad,
h. Disbursement of crew wages,
i. Overseas Education,
j. Remittance under educational tie up
arrangements with universities abroad,
k. Remittance towards fees for examinations
held in India and abroad and additional score sheets for GRE, TOEFL etc.,
l. Employment and processing, assessment
fees for overseas job applications,
m. Emigration and Emigration Consultancy
Fees,
n. Skills / credential assessment fees
for intending migrants,
o. Visa fees,
p. Processing fees for registration of documents
as required by the Portuguese / other Governments,
q. Registration / Subscription / Membership fees to International
Organizations,
6.4 It will be observed that the recommendations
imply that the entities proposed to be licensed as RAD-Category II may be permitted
to undertake the transactions that involve conversion of one currency into other
on the basis of a simple declaration from the applicant and/or on production
of appropriate document. Such transactions may not necessarily require opening
and maintaining foreign currency denominated (NOSTRO) account with a bank outside
India. However, the Group recommends that to facilitate issuance of foreign
currency draft etc. for such transactions the RAD-Category II may be allowed
enter into an arrangement with banks authorised to deal in foreign exchange
in India.
7. Eligibility Criteria for grant of Restricted
AD ( RAD-Category II) licence
The Group has deliberated in detail the current
dispensation available to various categories of authorized persons and in
the light of regulatory framework under which each category of institutions
is functioning the issue of granting them licence as a Restricted AD has been
considered. The eligibility criteria should primarily depend on strong financials,
good governance, regulatory / prudential comfort and adequate control mechanism.
The Group recommends that the following category of institutions could be
considered for the purpose.
7.1 Existing Full-fledged Money Changers
as RADs –Category II
Currently, a company with minimum capital
of Rs.25 lakhs for a single branch and Rs.50 lakhs for multi-branch is eligible
to apply for a licence of FFMC for consideration by the Reserve Bank. The
Group recommends that the Reserve Bank may consider granting RAD-Category
II licence to the existing, well functioning FFMCs, with strong financials,
that demonstrate good governance while providing regulatory/ prudential
comfort. Ilustratively, the criteria for upgradation of existing FFMC to
RAD-Category II may include net owned funds Rs 10 crores; satisfactory functioning
as FFMC for at least two years and credit report from their bankers.
7.2 Urban Co-operative Banks (UCBs)
7.2.1 No new Authorised Dealer/FFMC license
is being currently granted to any Cooperative Bank. Although, fresh FFMC
licences are not being issued to UCBs, the existing licences are being renewed
under the same conditions.
7.2.2 The Group observes that
with the adoption of the road map as outlined in the 'vision document'
for Cooperative sector many of the supervisory concerns of the sector are
being addressed. Therefore, the Group recommends that the Urban Cooperative
banks with strong financials, good governance and providing regulatory/prudential
comfort may be considered, on case by case basis, for licencing as RAD-Category
II.
7.2.3 The Group would like to emphasize
that the licence to deal in foreign exchange in capacity other than Authorised
Dealers is different insofar as these entities are not permitted to undertake
any open position risk. The activities permitted under these licences only
allow conversion from one currency to other currency. Therefore, a beginning
can be made by granting them licence as RAD-Category II.
7.3 Regional Rural Banks
7.3.1 The Group observes that the Regional
Rural Banks (RRBs) are jointly promoted by public sector banks, the Central
Government and the State Government. As on date there are 177 RRBs (196 -
as on March, 2005). Further, currently the RRBs are undergoing financial restructuring
and amalgamation. The Group also notes that in terms of ownership the RRBs
satisfy the criteria of 'fit and proper'. The sponsor banks have rich experience
in foreign exchange transactions and the RRBs can draw upon the sponsor banks
for training and skill up gradation, if needed.
7.3.2 Therefore, in view of
the wide branch network of RRBs and with a view to providing foreign exchange
services at the doorstep of the common person the Group recommends that the
Reserve Bank may also consider RRBs with strong financials , good governance
and providing regulatory/prudential comfort for granting licences as RAD-Category
II.
7.3.3 To ensure active involvement of the
sponsor banks the Group recommends that the Reserve Bank may consider requests
provided it is recommended by the sponsor bank to grant RAD Category –II licence
to RRBs on case by case basis. Since the supervision of the RRBs is entrusted
to NABARD the Reserve Bank may consider taking into account the recommendations
of the NABARD also before taking a decision on the application for grant of
RAD-Category II licence.
7.3.4 Before granting licence, the Bank may
also consider obtaining an undertaking from the sponsor bank of the RRB that
it would impart training to the staff of the RRB to ensure that they are able
to discharge their responsibility as RAD-Category II.
8. Proposed Structure
Proposed structure of the authorized persons
would be as follows:
Sl. No.
|
Category of license (Number)
|
Entities
|
Eligibility
|
Major Activities
|
1
|
Authorised Dealers
|
Commercial Banks,
State Co-op Bank,
Urban Co-op Banks
|
No Change
1) License to conduct Banking business in India.
2) Report from the concerned regulatory department of
RBI.
|
All current and capital account transactions
according to RBI directions issued from time-to-time.
|
2.
|
Restricted Authorised Dealers (RADs)
|
|
|
|
i)
|
Category-I
|
Financial Institutions ;
EXIM, IFCI, SIDBI ,CCIL and
Factoring Agencies
|
No Change
(On case to case basis to facilitate the
core activity of the institutions.)
|
Activities incidental to financing of
international trade related activities undertaken by these institutions.
|
ii)
|
Category-II
|
- Upgraded FFMCs
- Select UCBs
- Select RRBs
- Thomas Cook India Ltd.
|
Strong financials, good governance and
regulatory/ prudential comfort and adequate control mechanism as in paragraph
7 of the Report.
|
Specified non-trade related current account
transactions as at paragraph 6.3 of the Report
|
3
|
Full Fledged Money Changers (FFMCs)
|
Department of Post
Urban Coop Bank ,
Other FFMCs,
|
No Change
1) Registered under Indian Companies Act.
2) Minimum capital of Rs. 25 lakhs for
single branch Rs. 50 lakhs for multi-branch,
3) Satisfactory report from bankers.
|
Sale/Purchase of foreign exchange for private and business
visits Abroad
|
10. Transitional Arrangements
The Group notes that in adopting the proposed
structure it is unlikely that it may result in limiting the present activities
of any of the licenced entities. However, in the event that there is any
entity which considers the proposed structure restrictive as compared to
the current dispensation , the Group recommends that such entity may be
granted special dispensation, on case by case basis, with a view to continuing
their present status, as appropriate. However, Group is of the view that
all such special permission may be granted subject to annual review.
11. Reporting Requirement
11.1 In case of Authorised Dealers, RADs-Category
I and FFMCs the existing reporting requirements may continue.
11.2 It is recommended that the RADs-Category
II may be required to submit a monthly statement of all transactions (category
wise) where the amount exceeds a prescribed cut-off value, say USD 5,000
per transaction initially, so that a review could be made of the threshold
in six months and a firmer threshold may arrived at.
12. Inspection / Audit
12.1 The existing arrangement of inspection/audit
of Authorised Dealers and RADs-Category I will continue.
12.2 As regards the FFMCs as has been decided
that an auditor’s certificate confirming the compliance with the Rules/Regulations/
Directions will be adequate. However, the Reserve Bank may reserve the right
to inspect when considered necessary.
12.3 For RADs-Category II also the prescription
as provided for FFMCs ( para. 12.2) may be made applicable. However, the
Group recommends that the Reserve Bank may require a special audit of the
RADs-Category II depending on the nature of the transactions by an auditor
from the approved list of the RBI/ICAI.
13. KYC and Anti Money Laundering norms
13.1 The existing arrangement of KYC and Anti
Money Laundering norms for Authorised Dealers may continue.
13.2 KYC and Anti Money Laundering norms
are being prescribed separately for FFMCs. These may be made applicable
to RADs-Category II also.
14. Miscellaneous
The Group recommends that to begin with all
RAD-Category II licences may be issued only for ONE year subject to renewal.
Sd/=
|
Sd/=
|
Sd./=
|
(H. Bhattacharya)
|
(G. Padmanabhan)
|
(Vinay Baijal)
|
November 29, 2005
Mumbai.
Annex I
|
Authorised Dealers (87)
|
FFMCs (879)
|
Financial Institutions
(9)
|
Others
(1)
|
All permissible current and capital account transactions
|
Sale/Purchase of foreign exchange for private and business
travel
|
SIDBI, EXIM and IFCI
1. transactions relating
to foreign currency borrowing/ lending debt servicing and trade finance
(both fund and non-fund based) which are incidental to the normal functions.
2. Maintaining foreign currency
accounts with banks, correspondents abroad.
3. Investing surplus foreign
currency balances in accordance with RBI/GoI guidelines in force.
4. Buying/selling foreign
exchange in the domestic as well as international markets in cover of
transactions which are incidental to permitted foreign exchange transactions.
5. Entering into forward
contracts and other risk management products on behalf of clients as also
for own balance sheet management.
6. Maintaining open exchange/gap
positions arising on account of the above transactions upto the limits
approved
7. Offering long dated foreign
currency-rupee swaps to clients/non-clients
8. Availing temporary overdrafts
from the correspondent banks for activities related to negotiation of
payment under the letter of credit, other payments etc.
9. Undertaking foreign currency
rupee sell/buy swaps
10. Extending pre and post-shipment
credit facility. (only SIDBI)
Clearing Corporation of
India Ltd. (CCIL)
1. Maintaining foreign currency accounts
with a settlement bank outside India.
2. Accept foreign currency deposits from
Authorised Persons who are members of CCIL
3. Invest the foreign currency funds placed
as deposits by the clearing members in US $ Treasury Bills/Notes or other
US Government Securities.
4. Avail one or more Lines
of Credit from the settlement bank outside India to facilitate the clearing
operations.
5. Access the domestic forex
markets, either directly or through an Authorised Dealer, in case of default
by any of the clearing members or for making remittances incidental to
forex clearing and settlement operations.
Factoring agencies
a. Provide import factoring,
assuming all the relevant obligations enjoined on Authorised Dealers in
respect of import transactions as per extant exchange control regulations.
b. Handling of all Import/Export
documents relating to factoring services and forfeiting transactions.
c. Acceptance and release
of GR Forms.
d. Maintenance of Nostro
Account balances commensurate with the business needs.
e. Undertaking forex cover
operations purely to hedge exposures occasioned by factoring/forfeiting.
f. Make payments towards
various charges incidental to factoring/ forfeiting to overseas associates/forfeiting
agencies.
g. Export factoring to be
provided on 'with recourse basis' and forfaiting on 'without recourse
basis'.
h. In cases where exporters
have availed of pre-shipment finance, funds/discounted value of forfeiting
bills should be transferred direct to the concerned bank in foreign currency/
rupee as the case may be.
i. Permitted to consider
the requests (i) for reduction in invoice value, (ii) payment of agency
commission and (iii) write off of export proceeds from your exporter clients
under extant rules and regulations as applicable to authorized dealer
in foreign exchange.
|
1. Sale/purchase of foreign exchange
for private and business travel, including for medical treatment, participation
in conferences/exhibitions/fair, competitions, training, education abroad,
membership of International Organisations etc..
2. Remittances by tour operators / travel
agents to overseas agents / principals / hotels, Film shooting,
3. Reimbursement of travel expenses
of foreign nationals on business visits to India, / temporarily engaged
by organisations in India., Payment of crew wages, Remittance towards
cultural tour where prior approval has been obtained from the Ministry
of Human Resource Development, Remuneration for visiting professionals
who are on a short-term assignment in India.
4. Remittance for educational tie up
arrangements with universities abroad, examination fees etc.,.
5. Visa/Emigration/ Emigration Consultancy
Fees, assessment fees for overseas job applications etc.
6. Maintenance of close relatives abroad.
|
|