RBI/2013-14/568
DBOD.No.BP.BC.107/21.04.048/2013-14
FUND/NON-FUND BASED CREDIT FACILITIES TO
OVERSEAS JOINT VENTURES / WHOLLY OWNED SUBSIDIARIES /
WHOLLY OWNED STEP-DOWN SUBSIDIARIES OF INDIAN COMPANIES
OVERSEAS JOINT VENTURES / WHOLLY OWNED SUBSIDIARIES /
WHOLLY OWNED STEP-DOWN SUBSIDIARIES OF INDIAN COMPANIES
Please refer to our
circular DBOD.IBD.BC.No.96/23.37.001/2006-07 dated May 10, 2007, in terms of which banks were permitted to extend fund/non-fund
based credit facilities to overseas Joint Ventures (JV)/Wholly Owned
Subsidiaries (WOS)/Wholly owned Step-down Subsidiaries (WoSDS) of subsidiaries
of Indian companies upto 20 per cent of their unimpaired capital funds (Tier I
and Tier II capital) subject to certain conditions. The resource base for such lending
should be funds held in foreign currency accounts, such as FCNR(B), EEFC, RFC
etc., in respect of which banks have to manage the exchange risk.
2. Further, as per
paragraph 5(b) of Notification No.FEMA 8/2000-RB dated May 3, 2000, Authorised
Dealer Banks were permitted to extend guarantees to or on behalf of overseas
JV/WOS of an Indian company in
connection with its business. In terms of A.P. (DIR Series) Circular No.29 dated March 27, 2006, guarantees issued by banks in India in favour of overseas JV/WOS
of Indian companies would be subject to prudential norms issued by the Reserve
Bank from time to time.
3. The above measures were
intended to assist Indian companies in their overseas business. However, it has
been observed that banks are extending non-fund based credit facilities like
guarantees/stand-by letter of credits/letter of comforts etc. on behalf of
JV/WOS/WoSDS for purposes which are not connected with their business, rather,
in certain cases, used to avail foreign currency loans for repayment of Rupee
loans.
4. Accordingly, it is
advised that, banks, including overseas branches/subsidiaries of Indian banks,
shall not issue standby letters of credit/guarantees/letter of comforts etc. on
behalf of overseas JV/WOS/WoSDS of Indian companies for the purpose of raising
loans/advances of any kind from other entities except in connection with the
ordinary course of overseas business. We further advise that while extending
fund/non-fund based credit facilities to overseas JV/WOS/WoSDS of Indian
companies in connection with their business, either through branches in India
or through branches/subsidiaries abroad, banks should ensure effective
monitoring of the end use of such facilities and its conformity with the
business needs of such entities.
5. In terms of circular A.P. (DIR Series) Circular No.134 dated June 25, 2012, Indian companies in the manufacturing and infrastructure sector
were allowed to avail of external commercial borrowings (ECBs) for repayment of
Rupee loans availed of from domestic banking system and / or for fresh Rupee
capital expenditure, under the approval route, subject to satisfying certain
conditions. However, if the ECB is availed from overseas branches/subsidiaries
of Indian banks, the risk remains within the Indian banking system. It has,
therefore, been decided that repayment of Rupee loans availed of from domestic
banking system through ECBs extended by overseas branches/subsidiaries of
Indian banks will, henceforth, not be permitted.
6. As per instructions
contained in paragraph 4(1)(i) of Notification No.FEMA 8/2000-RB dated May 3, 2000, Authorised Dealer Banks have been allowed to issue guarantees in
respect of a debt, obligation or other liability incurred by an exporter, on
account of exports from India. It was intended to facilitate execution of export
contracts by the exporter and
not for other purposes. It has, however, come to our notice that some exporter
borrowers are using export advances, received on the strength of guarantees
issued by Indian banks, for repayment of loans availed of from Indian banks.
This is a clear violation of our instructions except in cases where banks have
received approvals under FEMA and banks are advised to desist from such
practices.
Yours faithfully,
(Rajesh Verma)
Chief General Manager
Chief General Manager