Corpsec HotlineMarch 16, 2011 Our recommendations on the Consolidated FDI PolicyForeign Direct Investment (“FDI”) into India is governed as per the policy framed by the Ministry of Commerce and Industry. The policy framework relating to FDI for the first time was introduced in the year 1993, since then the Department of Industrial Policy and Promotion (“DIPP”) under the Ministry of Commerce and Industry has been formulating the policy relating to FDI by issuing press notes, which are notified by the Reserve Bank of India (“RBI”) as amendment to Foreign Exchange Management (Transfer or Issue of Security by a Person Resident Outside India) Regulations, 2000 (“TISPRO”). In order to bring clarity and certainty in the policy framework, the DIPP for the first time issued a consolidated policy relating to FDI in India, which came into effect on April 1, 2010 (the “Consolidated FDI Policy”). Further, the Consolidated FDI Policy specifically provided that the consolidation subsumes and supersedes all Press Notes/ Press Releases/ Clarifications/ Circulars issued by DIPP, which were in force as on April 1, 2010. Further, as a policy, it was decided that the Consolidated FDI Policy would be revised every six months and consequently superseded by the revised version of the Consolidated FDI Policy. Presently, the Consolidated FDI Policy brought into effect from October 1, 2010 is in force, which would be superseded by its revised version to be brought into effect from April 1, 2011. While the preamble to the Consolidated FDI Policy stated that the “Consolidated FDI Policy is a consolidation/compilation and comprehensive listing of most matters on FDI and is not intended to make changes in the extant regulations”, several restrictions were introduced in the Consolidated FDI Policy without separate notification by RBI by way of press note or as amendment to TISPRO. Further, these new introductions in the Consolidated FDI Policy have created various ambiguities leading to uncertainty both for existing and future investment into the country. However, as a policy decision and to address the ambiguities arising out of the provisions of the Consolidated FDI Policy, it has been decided that prior to the issue of any revised version of Consolidated FDI Policy, DIPP would invite comments from public so that the same can be addressed in the subsequent versions. Accordingly, prior to the release of the Consolidated FDI Policy to be brought into effect from April 1, 2011, DIPP has invited comments from the public. We, at Nishith Desai Associates, have also provided our key recommendations alongwith rationale to DIPP, which inter alia include:
This article can be best viewed in Adobe Acrobat version 7. If our submissions are considered by DIPP, it would help in bringing clarity to existing framework relating to FDI and would be a progressive step towards encouraging promotion of FDI in India.
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