Showing posts with label IIBF Microfinance. Show all posts
Showing posts with label IIBF Microfinance. Show all posts

Sunday, 14 July 2019

Very Important Melegam committee recommendations ...Micro finance exam

melegam committee recommendations ...Micro finance

The composition of the Sub-Committee was as under:-
1.  Shri Y.H. Malegam – Chairman
2.  Shri Kumar Mangalam Birla
3.  Dr. K. C. Chakrabarty
4.  Smt. Shashi Rajagopalan
5.  Prof. U.R. Rao
6.  Shri V. K. Sharma (Executive Director) – Member Secretary

1.3 The terms of reference of the Sub-Committee were as under:-
1. To review the definition of ‘microfinance’ and ‘Micro Finance Institutions (MFIs)’ for the
purpose of regulation of non-banking finance companies (NBFCs) undertaking microfinance
by the Reserve Bank of India and make appropriate recommendations.

2. To examine the prevalent practices of MFIs in regard to interest rates, lending and
recovery practices to identify trends that impinge on borrowers’ interests.

3. To delineate the objectives and scope of regulation of NBFCs undertaking microfinance by
the Reserve Bank and the regulatory framework needed to achieve those objectives.

4. To examine and make appropriate recommendations in regard to applicability of money
lending legislation of the States and other relevant laws to NBFCs/MFIs.

5. To examine the role that associations and bodies of MFIs could play in enhancing
transparency disclosure and best practices

6. To recommend a grievance redressal machinery that could be put in place for ensuring
adherence to the regulations recommended at 3 above.

7. To examine the conditions under which loans to MFIs can be classified as priority sector
lending and make appropriate recommendations.

8. To consider any other item that is relevant to the terms of reference.

Recommendations

Recommendation # 1: New Category of NBFCs Called NBFC MFIs…

We would therefore recommend that a separate category be created for NBFCs
operating in the Microfinance sector, such NBFCs being designated as NBFC-MFI.

The Sub-Committee recommends that a NBFC-MFI may be defined as

“A company (other than a company licensed under Section 25 of the Companies Act, 1956) which provides financial services pre-dominantly to low-income borrowers with loans of small amounts, for short-terms, on unsecured basis, mainly for income-generating activities, with repayment schedules which are more frequent than those normally stipulated by commercial banks and which further conforms to the regulations specified in that behalf”.

Recommendation # 2:  NBFC To Satisfy Certain Conditions (Non-Negotiables) To
Be Classified as NBFC MFI…

We would, therefore, recommend that a NBFC classified as a NBFC-MFI should
satisfy the following conditions:

a)      Not less than 90% of its total assets (other than cash and bank balances and money market instruments) are in the nature of “qualifying assets.”
b)      For the purpose of (a) above, a “qualifying asset” shall mean a loan which satisfies the following criteria:-
i.                 the loan is given to a borrower who is a member of a household whose annual income does not exceed Rs. 50,000;
ii.               the amount of the loan does not exceed Rs. 25,000 and the total outstanding indebtedness of the borrower including this loan also does not exceed Rs. 25,000;
iii.              the tenure of the loan is not less than 12 months where the loan amount does not exceed Rs. 15,000 and 24 months in other cases with a right to the borrower of prepayment without penalty in all cases;
iv.             the loan is without collateral;
v.               the aggregate amount of loans given for income generation purposes is not less than 75% of the total loans given by the MFIs;
vi.             the loan is repayable by weekly, fortnightly or monthly
  installments at the choice of the borrower.

c)      The income it derives from other services is in accordance with the
       regulation specified in that behalf.

We would also recommend that a NBFC which does not qualify as a NBFC-
MFI should not be permitted to give loans to the microfinance sector, which in
the aggregate exceed 10% of its total assets.

Areas of Concern

In particular, in the Indian context, specific areas of concern have been identified: These are:
a) unjustified high rates of interest
b) lack of transparency in interest rates and other charges.
c) multiple lending
d) upfront collection of security deposits
e) over-borrowing
f) ghost borrowers
g) coercive methods of recovery

The following recommendations are made with regard to these areas of concern…

Recommendation # 3: Measures (Including Margin Caps) Related To Pricing
Aspects…

We would, therefore, recommend that there should be a “margin cap” of 10% in respect
of MFIs which have an outstanding loan portfolio at the beginning of the year of Rs. 100
crores and a “margin cap” of 12% in respect of MFIs which have an outstanding loan
portfolio at the beginning of the year of an amount not exceeding Rs. 100 crores.  There
should also be a cap of 24% on individual loans. 

Recommendation # 4: Ensuring Transparency in Interest Charges…

We would, therefore, recommend that:-
a)      There should be only three components in the pricing of the loan, namely (i) a processing fee, not exceeding 1% of the gross loan amount (ii) the interest charge and (iii) the insurance premium.
b)      Only the actual cost of insurance should be recovered and no administrative charges should be levied.
c)      Every MFI should provide to the borrower a loan card which (i) shows the effective rate of interest (ii) the other terms and conditions attached to the loan (iii) information which adequately identifies the borrower and (iv) acknowledgements by the MFI of payments of installments received and the final discharge. The Card should show this information in the local language understood by the borrower.
d)      The effective rate of interest charged by the MFI should be prominently displayed in all its offices and in the literature issued by it and on its website.
e)      There should be adequate regulations regarding the manner in which insurance premium is computed and collected and policy proceeds disposed off.
f)        There should not be any recovery of security deposit. Security deposits already collected should be returned.
g)      There should be a standard form of loan agreement.

Recommendation # 5: Dealing With Multiple-lending, Over-borrowing and Ghost-borrowers

We would, therefore, recommend that:-
a)      MFIs should lend to an individual borrower only as a member of a JLG and should have the responsibility of ensuring that the borrower is not a member of another JLG.
b)     a borrower cannot be a member of more than one SHG/JLG.
c)      not more than two MFIs should lend to the same borrower.
d)     there must be a minimum period of moratorium between the grant of the loan and the commencement of its repayment.
e)     recovery of loan given in violation of the regulations should be deferred till all prior existing loans are fully repaid.

We would, therefore, recommend that all sanctioning and disbursement of loans should be done only at a central location and more than one individual should be involved in this function. In addition, there should be close supervision of the disbursement function.

Recommendation # 6: Establishing Credit information Bureaus and Populating Data…

We would therefore recommend that
a)      One or more Credit Information Bureaus be established and be operational as soon as possible and all MFIs be required to become members of such bureau.
b)     In the meantime, the responsibility to obtain information from potential borrowers regarding existing borrowings should be on the MFI.

Recommendation # 7: Measures Against Coercive Methods of Recovery

We would, therefore, recommend that:-
a)      The responsibility to ensure that coercive methods of recovery are not used should rest with the MFIs and they and their managements should be subject to severe penalties if such methods are used.
b)     The regulator should monitor whether MFIs have a proper Code of Conduct and proper systems for recruitment, training and supervision of field staff to ensure the prevention of coercive methods of recovery.
c)      Field staff should not be allowed to make recovery at the place of residence or work of the borrower and all recoveries should only be made at the Group level at a central place to be designated.
d)     MFIs should consider the experience of banks that faced similar problems in relation to retail loans in the past and profit by that experience.
e)     Each MFI must establish a proper Grievance Redressal Procedure.
f)       The institution of independent Ombudsmen should be examined and based on such examination, an appropriate mechanism may be recommended by RBI to lead banks.

Recommendation # 8: Regulator To Publish A Customer Protection Code

We would, therefore, recommend that the regulator should publish a Client Protection Code for MFIs and mandate its acceptance and observance by MFIs. This Code should incorporate the relevant provisions of the Fair Practices Guidelines prescribed by the Reserve Bank for NBFCs. Similar provision should also be made applicable to banks and financial institutions which provide credit to the microfinance sector.

Recommendation # 9: Measures To Be Undertaken To Improve Efficiencies

We would, therefore, recommend that MFIs review their back office operations and
make the necessary investments in Information Technology and systems to achieve
better control, simplify procedures and reduce costs.

Recommendation # 10: Actions To Build Capacity of SHGs/JLGs

We would, therefore, recommend that under both the SBLP model and the MFI
model greater resources be devoted to professional inputs both in the formation
of SHGs and JLGs as also in the imparting of skill development and training and generally in handholding after the group is formed. This would be in addition to and complementary to the efforts of the State Governments in this regard. The architecture suggested by the Ministry of Rural Development should also be explored.

Recommendation # 11: Corporate Size for NBFC MFIs

We would, therefore, recommend that all NBFC-MFIs should have a minimum Net
Worth of Rs.15 crores.

Recommendation # 12: Strengthening Corporate Governance Framework Aspects

MFIs have twin objectives, namely to act as the vehicle through which the poor can work their way out of poverty and to provide reasonable profits to their investors. These twin objectives can conflict unless a fair balance is maintained between both objectives. This makes it essential that MFIs have good systems of Corporate Governance.

Some of the areas in which good corporate governance can be mandated would be:-
a)      the composition of the board with provision for independent directors
b)     the responsibility of the board to put in place and monitor organisation level
policies for:-
i.         the growth of the loan portfolio including its dispersal in different
ii.       regions
iii.      the identification and formation of joint liability groups
iv.     borrower training and education programmes
v.       credit and assessment procedures
vi.     recovery methods
vii.    employee code of conduct
viii.  employee quality enhancement programmes
ix.     compensation system for employees including limits on variable
            pay and the limit therein on  weightage for business
development and collection efficiency
x.       customer grievance procedures
xi.     internal audit and inspection
xii.    whistle blowing
xiii.  sharing of information with industry bodies

c) disclosures to be made in the financial statements including:
(i)             the geographic distribution of the loan portfolio, both in terms of number of borrowers and outstanding loans
(ii)           analysis of overdues
(iii)         the average effective rate of interest, the average cost of funds and the average margin earned
(iv)         analysis of the outstanding loans by nature of purpose for which loans were granted
(v)           composition of shareholding including percentage shareholding held by private equity


We would, therefore, recommend that every MFI be required to have a system of
Corporate Governance in accordance with rules to be specified by the Regulator.

Recommendation # 13: Measures To Maintenance of Solvency

We would, therefore, recommend that provisioning for loans should not be maintained for individual loans but an MFI should be required to maintain at all times an aggregate provision for loan losses which shall be the higher of:
i.                 1% of the outstanding loan portfolio or
ii.               50% of the aggregate loan installments which are overdue for more than 90 days and less than 180 days and 100% of the aggregate loan installments which are overdue for 180 days or more.

We would, therefore, recommend that NBFC-MFIs be required to maintain Capital
Adequacy Ratio of 15% and subject to our comment in para. 21.3 in main report,
all of the Net Owned Funds should be in the form of Tier I Capital.

Recommendation # 14: Measures to Increase Competition

We would therefore recommend that bank lending to the Microfinance sector both
through the SHG-Bank Linkage programme and directly should be significantly
increased and this should result in a reduction in the lending interest rates.

Recommendation # 15: Eligibility for Priority Sector Lending Status

We would, therefore, recommend that bank advances to MFIs should continue to
enjoy “priority sector lending” status. However, advances to MFIs which do not
comply with the regulation should be denied “priority sector lending” status. It
may also be necessary for the Reserve Bank to revisit its existing guidelines for
lending to the priority sector.

Recommendation 16: Dealing With Assignment and Securitisation

We would, therefore, recommend that:-
a)      Disclosure is made in the financial statements of MFIs of the outstanding loan portfolio which has been assigned or securitised and the MFI continues as an agent for collection. The amounts assigned and securitised must be shown separately.
b)     Where assignment or securitisation is with recourse, the full value of the outstanding loan portfolio assigned or securitised should be considered as risk-based assets for calculation of Capital Adequacy.
c)      Where the assignment or securitisation   is without recourse but credit enhancement has been given, the value of the credit enhancement should be deducted from the Net Owned Funds for the purpose of calculation of Capital Adequacy.
d)     Before acquiring assigned or securitised loans, banks should ensure that the loans have been made in accordance with the terms of the specified regulations.

Recommendation # 17: Alternative Methods in Funding of MFIs

We would, therefore, recommend that:
a)      The creation of one or more "Domestic Social Capital Funds" may be examined in consultation with SEBI.
b)      MFIs should be encouraged to issue preference capital with a ceiling on the coupon rate and this can be treated as part of Tier II capital subject to capital adequacy norms.

Recommendation # 18: Methods And Measures of Monitoring Compliance

We would, therefore, recommend that:-
a)      The primary responsibility for ensuring compliance with the regulations should rest with the MFI itself and it and its management must be penalized in the event of non-compliance
b)      Industry associations must ensure compliance through the implementation of the Code of Conduct with penalties for non-compliance.
c)      Banks also must play a part in compliance by surveillance of MFIs through their branches.
d)      The Reserve Bank should have the responsibility for off-site and on-site supervision of MFIs but the on-site supervision may be confined to the larger MFIs and be restricted to the functioning of the organisational arrangements and systems with some supervision of branches. It should also include supervision of the industry associations in so far as their compliance mechanism is concerned. Reserve Bank should also explore the use of outside agencies for inspection.
e)      The Reserve Bank should have the power to remove from office the CEO and / or a director in the event of persistent violation of the regulations quite apart from the power to deregister an MFI and prevent it from operating in the microfinance sector.
f)        The Reserve Bank should considerably enhance its existing supervisory organisation dealing with NBFC-MFIs.

Recommendation # 19: Dealing With State Level Moneylending Acts

We, therefore, recommend that NBFC-MFIs should be exempted from the provisions of
the Money-Lending Acts, especially as we are recommending interest margin caps and
increased regulation.

We would, therefore, recommend that if our recommendations are accepted, the
need for a separate Andhra Pradesh Micro Finance Institutions (Regulation of
Money Lending) Act will not survive.

Recommendation 19: Transitory Provisions for Implementing report

We would therefore recommend that:
a)      1st April 2011 may be considered as a cut- off date by which time our recommendations, if accepted, must be implemented.  In particular, the recommendations as to the rate of interest must, in any case, be made effective to all loans given by an MFI after 31st March 2011.
b)     As regards the other arrangements, Reserve Bank may grant such extension of time as it considers appropriate in the circumstances.  In particular, this extension may become necessary for entities which currently have activities other than microfinance lending and which may need to form separate entities confined to microfinance activities. “ [ii]

Sunday, 7 July 2019

Can MFIs Eradicate Poverty from India?

Can MFIs Eradicate Poverty from India?
Though the question is very simple, its answer is quite complex. Poverty in India is rising at an alarming rate.
Lack of education has lead to unemployment and that in turn has invited extreme poverty. With the introduction
of microfinance by the MFIs, the poor section of the society is now able to get funding for business and other
money-earning activities. Along with economic support, the organisations are also offering them a scope of
education. Thus saying MFIs only help in setting up business will be completely wrong. Apart from setting
business, they also help to educate people by conducting fast-track training session to build a skilled and wellequipped
workforce. Moreover, with new start-up businesses, more employment possibilities will emerge. As
people will get employed and start earning, the poverty ratio will come down slowly. So, it can be said that
MFIs can play a very big role in eradicating not only poverty but making people self-sufficient economically.
The microfinance institutions have paved the ground for the under-banked section of India to change their
financial status and take themselves up to the high societal pedestals. You can take a loan from these
organisations without any security for a certain time-period. Since these institutions don’t set any stringent
eligibility criteria for the borrower’s people can take loans whenever they feel the need without any inhibitions.
The only thing that the institutions lay focus on is that the borrower must be from the low-income group and the
money is taken for income-generation purposes. Hence, if you are facing issues while getting loans for setting
up business due to your bad economic condition, opting for microloans from the MFIs is a feasible and
beneficial option.

Sunday, 28 April 2019

All IIBF Certifications PDFs in single link Updated on April 2019

All IIBF Certifications PDFs in single link

Read corresponding  IIBF book 1st Macmillan / Taxmann.

These all materials are extra information to get knowledge.

All the best

Certified credit officer/Professionals
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MSME
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KYC AML:
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BCSBI
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CAIIB ABM
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CAIIB IT
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Certified Treasury Professionals:
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Digital banking
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Forex Individual
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Forex Operations
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Cyber Crime and fraud management
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Information System for Bankers
https://drive.google.com/file/d/1Xs8ywGhueRM4RToIRehfB5Od3YC0m7yM/view?usp=sharing

International Trade Finance
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IT SECURITY
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Microfinace
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Risk In financial services
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Certified Audit  Professionals:

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Sunday, 12 August 2018

All IIBF Certifications PDFs in single link

All IIBF Certifications PDFs in single link

Read corresponding  IIBF book 1st Macmillan / Taxmann.

These all materials are extra information to get knowledge.

All the best

Certified credit officer/Professionals
https://drive.google.com/file/d/1FplMEaDGqO901bQESuIMfmS0spej2p5B/view?usp=sharing

KYC AML
https://drive.google.com/file/d/1NhyU5b-q7SomdRD_kuyxwhO0lSVvlp8v/view?usp=sharing

MSME
https://drive.google.com/file/d/1pozMYe4F0moF-5dyAzhB_0BcaPIsqZYr/view?usp=sharing

BCSBI
https://drive.google.com/file/d/1vk4exeJW2PQM93gwDNsnvNGWj2uh7JMC/view?usp=sharing

Digital Banking
https://drive.google.com/file/d/1M5jr0a84pgqilJgJsBiZZe6FJBwDsuqi/view?usp=sharing

Foreign exchange Individual
https://drive.google.com/file/d/1jDQsTKSl54UrXC0gvBhiGv5V1tduk5Zj/view?usp=sharing

International Trade Finance
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Information system banker
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IT security
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Prevention of cyber crime & fraud exam
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Certified Treasury Professionals
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RISK in financial services
https://drive.google.com/file/d/134OS-POYOZaBLeEjFWLlAbhbFGKPWoPM/view?usp=sharing

Microfiance
https://drive.google.com/file/d/1bm27bcMA_NFUgdxbIJCJOlHLFinNA_rF/view?usp=sharing

CAIIB ABM 300 Case studies

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CAIIB  Elective IT pdf
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FOREX OPERATIONS PDF

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Certified Accounts and Audit pdf

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Tuesday, 24 July 2018

Foreign Trade Policy 2015-20

Foreign Trade Policy 2015-20
The Foreign Trade Policy (FTP), 2015-20, is notified by Central Govt., in exercise of powers conferred
under Section 5 of the Foreign Trade (Development & Regulation) Act, 1992 (No. 22 of 1992).
Duration of FTP : 2015-20 FTP, incorporating provisions relating to export and import of goods and
services, came Into force w.e.f. 01.04.2015 and shall remain in force up to 31st March, 2020, unless
otherwise specified. All exports and imports made upto the date of notification shall, accordingly, be
governed by the relevant FTP.
Director General of Foreign Trade (DGFT) can, by means of a Public Notice, notify Hand Book of
Procedures, including Appendices and Aayat Niryat Forms or amendment thereto, if any, laying down
the procedure to be followed by an exporter or importer or by any Licensing/Regional Authority or by
any other authority for purposes
of implementing provisions of FT (D&R) Act, the Rules and the Orders made there under and provisions
of FTP.
IMPORTER EXPORTER CODE (IEC): No export or import can be made by any person without
obtaining an IEC number unless specifically exempted. Further, only one IEC is permitted against one
Permanent Account Number (PAN). If any PAN card holder has more than one IEC, the extra IECs is
disabled.
IEC : An IEC is a 10-digit number allotted to a person that is mandatory for undertaking any
export/import activities. The facility for IEC in electronic form or e-IEC has also been operationalised.
Exports from India Schemes: There are two schemes for exports of Merchandise and Services
respectively: (I) Merchandise Exports from India Scheme (MEIS).
(ii) Service Exports from India Scheme (SEIS).
Niryat Bandhu - Handholding Scheme for new Exporters / Importers: As per provisions of Foreign
Trade Policy 2015-20, DGFT is implementing the Niryat Bandhu Scheme for mentoring new and
potential exporter on the inbicades of foreign trade through counselling, training and outreach
programs.
Towns of Export Excellence (TEE): Selected towns producing goods of Rs. 750 cr or more may be
notified as TEE, based on potential for growth in exports. For TEE in Handloom, Handicraft, Agriculture
and Fisheries sector, threshold limit would be Rs.150
EOU, EHTP, STP, BTP: Units undertaking to export their entire production of goods and services (except
permissible sales in Domestic Tariff Area-DTA), may be set up under Export Oriented Unit (EOU)
Scheme, Eledronics Hardware Technology Park (EHTP) Scheme, Software Technology Park (STP)
Scheme or 1310-Technology Park (BTP) Scheme for manufacture of goods, rendering of services,
development of software, agriculture induding bio-tedinology. Trading units are not covered under
these schemes.
Export Promojion Capital Goods Scheme: (a) Scheme allows import of capital goods for pre-production,
production and post-production, at Zero customs duty. The Authorisation holder may also procure
Capital Goods from indigenous sources: Capital goods shall indude capital goods as defined in foreign
trade policy; (ii) Computer software systems; (iii) Spares, moulds, dies, jigs, fixtures, tools &
refractories and spare refractories; and (iv) catalysts for initial charge-i- one subsequent charge.
(b) Import of capital goods for Project Imports notified by CBEC.
Second hand capital goods are not permitted.
Interest Equalisation Scheme on Pre and Post Shipment Rupee Export Credit (December 4,
2015): The scheme is effective from April 1, 2015. (a) The rate of interest equalisation would be 3 percent
and will be available on Pre Shipment Rupee Export Credit and Post Shipment Rupee Export Credit; (b)
The scheme would be applicable w.e.f 01.04.2015 for 5 years. (c) The scheme will be available to all
exports under 416 tariff lines [at ITC (HS) code of 4 digit] and exports made by Micro, Small & Medium
Enterprises (MSMEs) across all ITC(HS) codes; (d) Scheme would not be available to merchant exporters;
(e) A study may be initiated on the impact of the scheme on export promotion on completion of 3 years of
the operation of the scheme. The study may be done through one of the IIMs
Export Refinance
1. Who will provide? Export Refinance is provided by RBI.
2. Maximum period of refinance is 180 days.
3. Extent of Refinance: 15% (w.e.f. 27.10.2009) of eligible export finance outstanding on the reporting Friday
of the preceding fortnight. Outstanding Export Credit for the purpose of working out refinance limits will be
aggregate outstanding export credit minus export bills rediscounted with other banks/Exim Bank/Financial
Institutions, export credit against which refinance has been obtained from NABARD/Exim Bank, pre-shipment
credit in foreign currency (PCFC), export bills discounted/rediscounted under the scheme of 'Rediscounting of
Export Bills Abroad', overdue rupee export credit and other export credit not eligible for refinance.

Interest rate is Repo Rate. 5. Packing Credit in Foreign Currency is not eligible for export refinance
EXPORTS FROM INDIA
Export trade is regulated by DGFT under Govt. of India, which announces policies and procedures for
exports from India. AD-I banks conduct export transactions in conformity with the Foreign Trade Policy,
the Rules framed by the Govt. of India and the directions issued by RBI. Manner of receipt of export
proceeds: (i) The amount can be received through AD Banks in the form of (a) Bank draft, pay order,
banker's or personal cheques (b) Foreign currency notes/travellers' cheques from the buyer during his
visit to India. (c) Payment out of funds held in the FCNR/NRE account maintained by the buyer
(d) International Credit Cards of the buyer (e) Wef Jan 01, 2009, Asian Clearing Union participants can
settle their transactions in ACU Dollar or in ACU Euro (equivalent in value to one US Dollar and one
Euro, respectively). Payment can be received from 3rd parties named by exporters in EGF, subject to
compliance of certain conditions (RBI-Nov 08, 2013).
Time limits for realisation and repatriation of export proceeds:
(a) Units in SEZs, Status Holders, 100% Export Oriented Units and Units in EHTPs/STPsIBTPs: max 9
months
(b) Exported to a warehouse established outside India : Max 15 months from the date of shipment of
goods; and
(c) Other cases: Max 9 months.
Offices and Immovable Property for Overseas Offices: For setting up of the office, AD-I banks may
allow remittances towards initial expenses up to 15% of the average annual sales/income or turnover
during the last 2 financial years or up to 25% of the net worth, whichever is higher. For recurring
expenses, remittances up to 10% of the average annual sales/income or turnover during the last 2
financial years may be sent.
Advance Payments against Exports: The exporter shall ensure that -
i. the shipment of goods is made within one year (ADs can allow period above one year also w.e.f. 21.2.12 subject
to the condition that refund during the last 3 years is not more than 10% of advance payments received);
ii. the rate of interest payable on the advance payment does not exceed London Inter-Bank Offered
Rate (LIBOR) + 100 basis points.
(ADs to sent quarterly report to RBI, within 21 days, for delay in utilization of advance payments — 09.02.15)
LONG TERM EXPORT ADVANCE : RBI allowed (May 21, 2014) AD banks to permit exporters, having a
minimum of 3 years' satisfactory track record, to receive long term export advance up to a maximum
tenor of 10 years for execution of long term supply contracts for export of goods. The rate of interest
should not exceed LIBOR plus 200 basis points. Receipt of advance of USD 100 million or more should
be immediately reported RBI. Where AD banks issue bank guarantee (BG) / Stand by Letter of Credit
(SBLC) for export performance, BG / SBLC may be issued for a term not exceeding 2 years at a time
and further rollover of not more than 2 years at a time may be allowed subject to satisfaction with
relative export performance as per the contract.
Part Drawings /Undrawn Balances: Where it is the practice to leave a small part of the invoice
value (maximum of 10% of the full export value) undrawn for payment after adjustment due to
differences in weight, quality, etc. to be ascertained after arrival AD-I banks may negotiate the bills.
Opening / Hiring of Ware houses abroad: Banks may grant permission for opening / hiring
warehouses abroad if export outstanding does not exceed 5% of exports made during the previous
financial year and applicant has a minimum export turnover of USD 100,000/- during the last financial
year.
Supplier's Credit
Under supplier credit contracts the exporter supplier extends a credit to the buyer importer of capital goods. The
terms can be down payment with the balance payable in instalments. The interest on such deferred payments
will have to be paid on the rates determined at the time of entering Into such arrangement. The deferred
payments are supported by the promissory notes or bills of exchange often carrying the guarantee of importer's
bank. To finance the credit given to the Importer under such arrangement, the exporter raises a loan from his
banker under the export credit schemes in force. In general, the export credit insurance will be an inherent part
of the mechanism.
Buyer's credit
In a buyer credit transaction, the buyer importer raises a loan from a bank in the exporter's country under the
export credit scheme in force on the terms conforming to the OECD consensus. The loan Is drawn to pay the
exporter in full and thus for the exporter, the transaction is a cash sale. Another form of the buyer credit
arrangement is, for a bank in the exporter's country, to establish a line of credit in favour of a bank or financial
institutions, in the importing country. The later makes available, loans under the line of credit to its importer
clients for the purchase of capital goods from the credit giving country. In India BUM Bank makes available
supplier/buyer credits and also extends line of credit to foreign financial institutions to promote exports of capital
goods from India.
Export Credit Guarantee Corporation of India Ltd. (ECGC)

Saturday, 21 July 2018

New Micro finance MCQs

1. Loans to poor people by banks have many limitations including lack of security and high operating cost. So to help them which type of finance system developed ?

(a) Ponzi schemes

(b) Micro Finance System***

(c) Money Laundering Schemes

(d) Money tampering finance


2. The following statements are related to Micro Finance System. Locate the wrong option ?

(a) It provides micro credit having scope for small savings and remittance of funds

(b) It based on the principle of livelihood creation

(c) The livelihood mission means engaging in activities in a routine fashion to generate cash or non-cash income

(d) None**


3. Who introduced the concept of Micro Finance in Bangladesh in the form of the "Grameen Bank"? He is the Nobel laureate known by many as the "father of micro finance systems".
(a) C. D. Deshmukh

(b) Amartya Sen

(c) Muhammad Yunus***

(d) Sheik Haseena

3. The beneficiaries of Micro finance business are _____________

(a) Land Less labour

(b) Marginal farmers

(c) Vendors in the small markets

(d) All the above***

4. The beneficiaries of Micro finance business are _____________

(a) Land Less labour

(b) Marginal farmers

(c) Vendors in the small markets

(d) All the above**

5. The Micro Finance Institutions (MFI) differ from one another in terms of

(a) Product offering

(b) Loan repayment Structure

(c) Product offerings

(d) All of these***

6. One of the delivery channel for Micro Finance is SHG model. SHG means ?

(a) Soar Help Group

(b) Sake Help Group

(c) Self Hope Group

(d) Self Help Group**

7. Indian Micro Finance Institutes (MFI) usually adopt the group-based lending models, which are of two types. SHG model and JLG model. SHG means Self Help Group and JLG means ?

(a) Joint Liability Game

(b) Josh Liability Group

(c) Joint Loan Group

(d) Joint Liability Group***


8. To control high rate interest rates, coercive collections and illegal insurance practices by the Micro Finance Institutes, Andhra Pradesh Government passed Andhra Pradesh Microfinance Institutions (Regulations of Money Lending) Act in  ?

(a) 2014

(b) 2013

(c) 2005

(d) 2011**

9. In the Not-For-Profit Micro Finance Institutes, which among the following are included ?

(a) Societies

(b) Public Trusts

(c) Non-Profit Companies

(d) All of these***


10. Co-operatives registered under state or National Acts and MACs come under Mutual benefit MFIs. MACS means ?

(a) Moral-Aided Co-Operative Societies

(b) Mint-Aided Co-Operative Societies

(c) Mutually-Aided Co-Operative Societies**

(d) Mutually-Aided Co-Operative Societies

11. Non-banking  financial companies, producer companies and LAB come under the category of For-Profit-MFIs. LAB means ?

(a) Loan Area Banks**

(b) Legal Area Banks

(c) Local Axis Banks

(d) Local Area Banks

12. SKS Micro-finance Ltd, the only listed micro lender in the country founded by ___________

(a) Sudipa Sen

(b) M. B. N. Rao

(c) Kunal Ghosh

(d) Vikram Akula**

13. Who launched an 'India Micro-finance Platform', a portal on micro-finance activities across the country, with the assistance of World bank funds on 28th June 2013 ?

(a) SBI

(b) ICICI

(c) SIDBI**

(d) Exim Bank

14. SIDBI related statements are given. Pick the wrong statement.

(a) SIDBI means Small Industries Development Bank of India

(b) It was established on 2nd April 1990

(c) It is the principal financial institution for the promotion, financing and development of industry in the small scale sector

(d) Its head office is in Nagpur**

15. Which committee has recommended creation of a separate category of NBFCs operating in the microfinance sector to be designated as NBFC-MFIs (Non-Banking Finance Company - Micro Finance Institutes) ?

(a) C. Ranga Rajan

(b) Chandra Sekhar

(c) Y. H. Malegam***

(d) Tarapore

16.Recommendations of Malegam committee on Micro Finance Sector do not include _______
1. MFI should not charge more than 24% of its disbursed loans
2. Processing fee on the loan amount must not be more than 1%
3. Margin of interest to be not more than 20 per cent***
4. MFIs should lend to an individual borrower only as a member of a JLG and should have the responsibility of ensuring that the borrower is not a member of another JLG
5. Bank advantages to MFIs should continue to enjoy 'priority sector lending status'.

17.Which committee has recommended creation of a separate category of NBFCs operating in the microfinance sector to be designated as NBFC-MFIs (Non-Banking Finance Company - Micro Finance Institutes) ?
1. C. Ranga Rajan
2. Chandra Sekhar
3. Y. H. Malegam**
4. Tarapore
5. R. K. Sundaram

18. SIDBI related statements are given. Pick the wrong statement.

1. SIDBI means Small Industries Development Bank of India
2. It was established on 2nd April 1990
3. It is the principal financial institution for the
promotion, financing and development of industry in the small scale sector
4. its head office is in Nagpur***
5. None


19. Who launched an 'India Micro-finance Platform', aportal on micro-finance activities across the country, with the assistance of World bank funds on 28thJune 2013 ?
1. SBI
2. ICICI
3. SIDBI***
4. Exim Bank
5. NABARD

20 . The beneficiaries of Micro finance business are_____________
1. Land Less labour
2. Marginal farmers
3. Vendors in the small markets
4. Hawkers
5. All the above**






Micro Finance – Current Status and Growing Concerns in India

Microfinance sector has grown rapidly over the past few decades. Nobel Laureate Muhammad Yunus is credited with laying the foundation of the modern MFIs with establishment of Grameen Bank, Bangladesh in 1976. Today it has evolved into a vibrant industry exhibiting a variety of business models. Microfinance Institutions (MFIs) in India exist as NGOs (registered as societies or trusts), Section 25 companies and Non-Banking Financial Companies (NBFCs). Commercial Banks, Regional Rural Banks (RRBs), cooperative societies and other large lenders have played an important role in providing refinance facility to MFIs. Banks have also leveraged the Self-Help Group (SHGs) channel to provide direct credit to group borrowers.

With financial inclusion emerging as a major policy objective in the country, Microfinance has occupied centre stage as a promising conduit for extending financial services to unbanked sections of population. At the same time, practices followed by certain lenders have subjected the sector to greater scrutiny and need for stricter regulation.

This report, which contains only a part of the actual report is based on the research work done as a part of the summer internship project at Reserve Bank of India, Kanpur. The research involved study of the past literatures about the microfinance sector, related online research papers and journals. The study also involved survey of all MFIs in the state of Uttar Pradesh through field visits and online survey. The annual reports and the sector reports published by regulatory bodies, MFI associations and major microfinance players facilitated the study, especially in understanding the size, growth and past trends. Interactions with some of the industry experts helped in understanding and analysing the emerging concerns in the microfinance sector and also to look for some possible solutions.

Although the microfinance sector is having a healthy growth rate, there have been a number of concerns related to the sector, like grey areas in regulation, transparent pricing, low financial literacy etc. In addition to these concerns there are a few emerging concerns like cluster formation, insufficient funds, multiple lending and over-indebtedness which are arising because of the increasing competition among the MFIs. On a national level there has been a spate of actions taken to strengthen the regulation of MF sector including, enactment of microfinance regulation bill by the Government of Andhra Pradesh, implementation of sector-specific regulation by Reserve Bank of India and most recently, release of Draft Microfinance Institutions (development and regulation) Bill, 2011 for comments.

Based on the research work, a few major recommendations made in the report include field supervision of MFIs to check ground realities and the operational efficiency of such institutions.  Offer incentives to MFIs for opening branches in unbanked villages, so as to increase rural penetration. Also MFIs be encouraged to offer complete range of products to their clients. Transparent pricing and technology implementation to maintain uniformity and efficiency are among the others which these institutions should adopt. Inability of MFIs in getting sufficient funds is a major hindrance in the microfinance growth and so these institutions should look for alternative sources of funds. Some of the alternative fund sources include outside equity investment, portfolio buyouts and securitization of loans which only a few large MFIs are currently availing.

Introduction to Microfinance

“Microfinance is the provision of financial services to low-income clients or solidarity lending groups including consumers and the self-employed, who traditionally lack access to banking and related services.”

Microfinance is not just about giving micro credit to the poor rather it is an economic development tool whose objective is to assist poor to work their way out of poverty. It covers a wide range of services like credit, savings, insurance, remittance and also non-financial services like training, counseling etc.

Salient features of Microfinance:

Borrowers are from the low income group

Loans are of small amount – micro loans

Short duration loans

Loans are offered without collaterals

High frequency of repayment

Loans are generally taken for income generation purpose

Gaps in Financial system and Need for Microfinance

According to the latest research done by the World Bank, India is home to almost one third of the world’s poor (surviving on an equivalent of one dollar a day). Though many central government and state government poverty alleviation programs are currently active in India, microfinance plays a major contributor to financial inclusion. In the past few decades it has helped out remarkably in eradicating poverty. Reports show that people who have taken microfinance have been able to increase their income and hence the standard of living.

About half of the Indian population still doesn’t have a savings bank account and they are deprived of all banking services. Poor also need financial services to fulfill their needs like consumption, building of assets and protection against risk. Microfinance institutions serve as a supplement to banks and in some sense a better one too. These institutions not only offer micro credit but they also provide other financial services like savings, insurance, remittance and non-financial services like individual counselling, training and support to start own business and the most importantly in a convenient way. The borrower receives all these services at her/his door step and in most cases with a repayment schedule of borrower’s convenience. But all this comes at a cost and the interest rates charged by these institutions are higher than commercial banks and vary widely from 10 to 30 percent. Some claim that the interest rates charged by some of these institutions are very high while others feel that considering the cost of capital and the cost incurred in giving the service, the high interest rates are justified
Channels of Micro finance

In India microfinance operates through two channels:

1. SHG – Bank Linkage Programme (SBLP)

2. Micro Finance Institutions (MFIs)

SHG – Bank Linkage Programme

This is the bank-led microfinance channel which was initiated by NABARD in 1992. Under the SHG model the members, usually women in villages are encouraged to form groups of around 10-15. The members contribute their savings in the group periodically and from these savings small loans are provided to the members. In the later period these SHGs are provided with bank loans generally for income generation purpose. The group’s members meet periodically when the new savings come in, recovery of past loans are made from the members and also new loans are disbursed. This model has been very much successful in the past and with time it is becoming more popular. The SHGs are self-sustaining and once the group becomes stable it starts working on its own with some support from NGOs

SHG model – How it works

and institutions like NABARD and SIDBI.

Micro Finance Institutions

Those institutions which have microfinance as their main operation are known as micro finance institutions. A number of organizations with varied size and legal forms offer microfinance service. These institutions lend through the concept of Joint Liability Group (JLG). A JLG is an informal group comprising of 5 to 10 individual members who come together for the purpose of availing bank loans either individually or through the group mechanism against a mutual guarantee. The reason for existence of separate institutions i.e. MFIs for offering microfinance are as follows:

High transaction cost – generally micro credits fall below the break-even point of providing loans by banks

Absence of collaterals – the poor usually are not in a state to offer collaterals to secure the credit

Loans are generally taken for very short duration periods

Higher frequency of repayment of installments and higher rate of Default

Non-Banking Financial Companies (NBFCs), Co-operative societies, Section-25 companies, Societies and Trusts, all such institutions operating in microfinance sector constitute MFIs and together they account for about 42 percent of the microfinance sector in terms of loan portfolio. The MFI channel is dominated by NBFCs which cover more than 80 percent of the total loan portfolio through the MFI channel.

Sunday, 15 July 2018

Today Micro finance 70 recollected questions



 Micro finance 70 recollected questions

Q1.C.rungrajan committee on microfinance
Q2. Breath length and depth meaning.
Q3. Difference between poverty lending approach and financial system approach.
Q4. Microfinance focus on poorest of the poor.
Q5. Nabard and it's role.
Q6. Nationalization of banks and it's purpose.
Q7.IRDP programm substitute the SJGSY program.
Q8.what is facilitater and it's role.
Q9.what is GRT group recognition test and it's purpose.
Q10.one question on Money lenders.
Q11.break even analysis and CPV analysis 3 questions.
Q12.what is microcredit.
Q13.what is microfinance.
Q14. What is sustainability.
Q15 what is BRI bank Ryat Indonesia.
Q16 .what is unit diseas.
Q17.chikola group of Kenya is example of which model.
Q18.Difference between SHG and JLG model
Q19 detailed question on grameen bank model.
 Q20. What is SHG bank linkage model...
Q22. Assumptions of grameen bank model of Bangladesh.
 Q23.diffrence between direct cost indirectcost setupcost and cost of fund.
Q24 .capital=assets-liability.
Q25.for NBFC model minimum networth requires rs.5 crore.
Q26.malegam committee and its recommendation.
Q27.qualifying assets and its significance
Q28.what is most accepted and widely usedmodel of microfinance in india.
 Q29.what is ghostborrower or multiple lending.
Q30.details of BC model.
Q31.what is reckless lending.
Q32. Details of SHG2 model part2.
 Q33. What is refinancing.
Q34. National rural livelihood mission.
 Q35 .Swarn jayanti gramin Swarojgar yojna
Q 36.what is mutual fund.
 Q37. What is merchant banking.
Q38.details of Revolving Fund.
 Q39. Financial inclusion definition and scope.
Q40. What is kyc and it's purpose
Q41 .Illiterate person can open which type of exam.
Q42 .Difference between impact accessment and social performance.
Q43.what is social rating
Q44. What is minimalist and integrated approach.
Q45.what is micro Insurance.
 Q46. Role of SEBI.
 Q47.role of IRDA.
 Q48. What is cash flow statement
.Q49. What is flat rate of interest.
 Q50. What is travel expanses.
 Q51.what is operating expense Ratio.
 Q52. What is asset depricitation.
 Q53 what is accounting stanard 2
. Q54. What is average case load.
Q55. What is Target group.
Q56. What is PAR.
Q57. What is market risk.
Q58. What is bank rate.
Q59.what is reprising risk.
 Q60. What is riskmanagement loop
Q61 what is schedule and nonshedule bank.
Q62. What is human risk.
 Q63.what is operational risk.
Q64.what is merchant banker.
 Q65. What is trading in stock exchange.
 Q66.two questions on mutual fund.
Q67.three question on Break Even Analysis.
Q68. What is regulatory risk.
 Q 69.what is Repayment rate.
 Q70.trust and Trust feed and what NBFC banking Model and what is business Correspondent model (BC Model)...... these All are 70 Recollected Questions of microfinance held on 15 july 2018. best of luck to All 

Saturday, 7 July 2018

Micro finance

What is microfinance?
Microfinance, also known as microcredit, is a financial service that offers loans, savings and insurance to entrepreneurs and small business owners who don't have access to traditional sources of capital, like banks or investors. The goal of microfinancing is to provide individuals with money to invest in themselves or their business.

"Microfinance focuses on meeting the financial needs of populations that are financially underserved," said Tarsava. "These are individuals who usually lack the credit or resources to secure a loan and are unlikely to get approval from traditional banks. Typically, these consumers are seeking small-denomination loans … to finance the purchase of a specific equipment, or the capital to start a small business."

Friday, 1 June 2018

Micro Finance

MICRO FINANCE INSTITUTIONS::

Microfinance or Micro Credit is defined as provision of thrift, credit and other financial
services and products of very small amount to the poor in rural, semi-urban and urban
areas for enabling them to raise their income levels and improve living standards.

Since the latter half of 2010 Micro Finance Institutions (MFIs) have come under the
scanner of public and journalistic scrutiny, particularly in Andhra Pradesh, due to a
variety of reasons.

RBI constituted a Sub-Committee of the Central Board of Directors of RBI headed by
Shri Y. H. Malegam, commonly known as Malegam Committee, to study Issues and
Concerns in the MFI Sector in October 2010. The committee has now presented its
report.

A microfinance institution (MFI) is an organization
that provides financial services to the poor. This
very broad definition includes a wide range of
providers that vary in their legal structure,
mission, and methodology. However, all share
the common characteristic of providing financial
services to clients who are poorer and more
vulnerable than traditional bank clients.
Alternatively, MFIs are institutions devoted
exclusively to microfinance.
Microfinance
Microfinance or Micro Credit is defined as
provision of thrift, credit and other financial
services and products of very small amount to
the poor in rural, semi-urban and urban areas
for enabling them to raise their income levels
and improve living standards. Formally,
microfinance service has been defined in the
Microfinance Services Regulation Bill as
providing financial assistance to an individual or
an eligible client, either directly or through a group
mechanism for:
i. an amount, not exceeding rupees fifty
thousand in aggregate per individual, for small
and tiny enterprise, agriculture, allied activities
(including for consumption purposes of such
individual) or
ii. an amount not exceeding rupees one lac
fifty thousand in aggregate per individual for
housing purposes, or
iii. such other amounts, for any of the
purposes mentioned at items (i) and (ii) above
or other purposes, as may be prescribed.
Categorization of MFIs
MFIs can be categorized as formal, semi-formal
or informal.
Formal MFIs are defined as those that are
subject not only to general laws but also to
specific banking regulation and supervision
(development banks, savings and postal banks,
commercial banks, and non-bank financial
intermediaries). Formal providers may also be
any registered legal organizations offering any
kind of financial services.
Semiformal MFIs are registered entities subject
to general and commercial laws but are not
usually under bank regulation and supervision
(financial NGOs, credit unions and
cooperatives).
Informal MFIs are non-registered groups such
as rotating savings and credit associations and
self-help groups.
Ownership structures
MFIs can be government-owned, like the rural
credit cooperatives in China; member-owned,
like the credit unions in West Africa; socially
minded shareholders, like many transformed
NGOs in Latin America; and profit-maximizing

shareholders, like the microfinance banks in
Eastern Europe. The types of services offered
are limited by what is allowed by the legal
structure of the provider: non-regulated
institutions are not generally allowed to provide
savings or insurance.
Role
MFIs could play a significant role in facilitating
inclusion, as they are uniquely positioned in
reaching out to the rural poor. Many of them
operate in a limited geographical area, have a
greater understanding of the issues specific to
the rural poor, enjoy greater acceptability
amongst the rural poor and have flexibility in
operations providing a level of comfort to their
clientele.
Current Issues
Since the latter half of 2010 Micro Finance
Institutions (MFIs) have come under the scanner
of public and journalistic scrutiny, particularly in
Andhra Pradesh, due to a variety of reasons
ranging from the issue of corporate governance
in one of the leading MFIs to rural suicides
purportedly caused by strong arm recovery
tactics of MFIs.
Following reports of rural distress apparently
caused by the ‘avarice’ of MFIs, the Andhra
Pradesh govt. sought clarification from the RBI
on regulation of MFIs, specially regarding cap
on interest rate. The RBI took the stance that it
could regulate only the activities of MFIs
registered with it as non-banking finance
companies. Although these cover over 80% of
microfinance business, in terms of numbers
they comprise a small percentage of the total
numbers of MFIs in the country. Subsequently,
RBI constituted s Sub-Committee of the Central
Board of Directors of RBI headed by Shri Y. H.
Malegam, commonly known as Malegam
Committee, to study Issues and Concerns in

the MFI Sector in October 2010. The committee
has now presented its report.
Malegam Committee Report
The Sub-committee has made a number of
recommendations to mitigate the problems of
multiple-lending, over borrowing, ghost
borrowers and coercive methods of recovery.
These include :
1. A borrower can be a member of only one
Self-Help Group (SHG) or a Joint Liability
Group (JLG)
2. Not more than two MFIs can lend to a single
borrower
3. There should be a minimum period of
moratorium between the disbursement of
loan and the commencement of recovery
4. The tenure of the loan must vary with its
amount
5. A Credit Information Bureau has to be
established
6. The primary responsibility for avoidance of
coercive methods of recovery must lie with
the MFI and its management
7. RBI must prepare a draft Customer
Protection Code to be adopted by all MFIs
8. There must be grievance redressal
procedures and establishment of
ombudsmen
9. All MFIs must observe a specified Code of
Corporate Governance
For monitoring compliance with regulations, the
Sub-Committee has proposed a four-pillar
approach with the responsibility being shared
by MFIs, industry associations, banks and RBI.

Microfinance finance::::

Meaning of Section 25 companies..
What is this category of company ??

A “Section 25” company is registered under Section 25 of the Companies Act, 1956. This section provides an alternative to those who want to promote charity without creating a Trust or a Society for the purpose. It allows the formation of a company, which will exist as a legal entity in its own right, separate from the person promoting it. The crucial bit, however, is that any company under this section must necessarily re-invest any and all income towards promoting the said object or charity. In essence, unlike a regular company, where owners and shareholders can make profits or receive dividends, no money gets out of a Section 25 company.

A Section 25 company is often preferred because it is easier to start — being exempt from statutory requirements of minimum paid-up capital. They are much easier to run than Trusts and Societies, as board meetings require a smaller quorum and requirements for calling such meetings are less rigid. It is easier to increase the number of directors, it is easier for people donating money to join or leave or transfer shares to others, and such a company is obliged to fulfill far less stringent book-keeping and auditing requirements as against a regular company. Lastly, a Section 25 company enjoys significant tax benefits. Depending on how it is registered under the Income-Tax Act, companies could benefit from income-tax exemptions, or from the provision wherein people donating money to these companies receive income deductions in their income-tax liability. Such companies are also exempt from stamp duty payments. Section 25 is preferred by several businessmen because they are conversant with the company structure, while benefits from several exemptions make it easy for philanthropy.