Detailed Guidelines on Securitisation of Standard Assets
were issued to NBFCs vide Circular
DBOD.NO.BP.BC.60/21.04.048/2005-06 dated February 01, 2006.
2. In order to prevent unhealthy practices
from developing and in order to align the interest of the
originator with that of the investors, it has been considered
necessary that originators should retain a portion of each
securitization originated, as a mechanism to better align
incentives and ensure more effective screening of loans. In
addition, a minimum period of retention of loans prior to
securitization is also considered desirable, to give comfort
to the investors regarding the due diligence exercised by the originator.
3. Keeping in view the above objectives, the
following guidelines have been formulated regarding the
Minimum Holding Period and Minimum Retention Requirement:
3.1 Minimum Holding Period (MHP)
Maturity of loan
|
MHP of the loans
|
Upto 24 months
|
(i) (a) In the case of loans with
periodic repayment schedules, the MHP would be
nine months from
- date of full disbursement of loans for an
activity/purpose; date of acquisition of asset by
the borrower (i.e car, residential house, etc.);
date of completion of project; as the case may be
OR
- date of first instalment of
interest/principal/EMI which is due
whichever is later
(b) In case of bullet repayment
loans, twelve months from the
relevant dates specified in (i) (a) above.
|
More than 24 months
|
(a) In the case of loans with
periodic repayment schedules, the MHP would be
twelve months from
-
date of full disbursement of
loans for an activity/purpose; date of
acquisition of asset by the borrower (i.e car,
residential house, etc.); date of completion of
project; as the case may be
OR
-
date of first instalment of
interest/principal/EMI which is due
whichever is later
(b) No securitisation of loans with
maturity exceeding 24 months and bullet repayment
is envisaged.
|
3.2 Minimum Retention Requirement (MRR)
Type of loan
|
MRR
|
Description of MRR
|
Loans with original maturity of 24 months or
less
| 5% of
the book value of the loans being securitised
| (i)
| Where the securitisation involves
neither tranching nor any credit
enhancement
| Investment in the securities issued by
the SPV equal to 5% of the book value
of the loans being securitised.
|
(ii)
| Where the securitisation involves
tranching
| Investment in the equity
tranche issued by the SPV equal to
5 % of the book value of the loans
being securitised.
|
(iii)
| Where the securitisation involves no
tranching, but involves first loss credit
enhancements e.g. off-balance sheet
supports, cash collaterals, overcollateralization etc.
| Exposure to first loss position
through any of the stated credit
enhancements equal to 5%
of the book value of the loans being
securitised.
|
(iv)
| Where the securitisation involves
tranching as well as the first loss
credit enhancements (off-balance sheet
supports, cash collaterals, overcollateralization
etc.)
| Exposure to equity tranche or
first loss position in other forms as
stated equal to 5% of the book value of the loans
being securitised.
|
Loans with original maturity of above 24
months
|
10% of the book value of the loans
being securitised
| (v)
| Where the securitisation involves
neither tranching nor any credit
enhancement
| Investment in the securities issued by
the SPV equal to 10% of the book
value of the loans being securitised.
|
(vi)
| Where the securitisation involves
tranching
| Investment in equity tranche
of minimum 5% of the book value of the
loans being securitised and the balance as
pari-passu investment in all the
remaining tranches of securities issued by the SPV.
|
(vii)
| Where the securitisation involves no
tranching, but involves first loss credit
enhancements e.g. off-balance sheet
supports, cash collaterals, overcollateralization etc.
| •
Exposure to first loss position through any
of the stated credit enhancements of
minimum 5% of the book value of the
loans being securitised and the balance as
pari-passu investment in all the
securities issued by the SPV.
|
(viii)
| Where the securitisation involves
tranching as well as the first loss
credit enhancements (off-balance sheet
supports, cash collaterals, overcollateralization etc.)
| Exposure to equity tranche or
first loss position in other forms as
stated equal to minimum 5% of the
book value of the loans being securitised and the
balance as pari-passu investment in
all the remaining tranches (other than equity) of securities.
|
4. Limit on total exposure to SPV and/or underlying
assets
4.1 At present, total investment by the
originator (including its group entities) in the securities
issued by the SPV (PTCs) through underwriting or otherwise is
limited to 10% of the total PTCs issued. Credit enhancement,
liquidity support, and counterparty credit exposures in the
case of interest rate swaps/currency swaps with the SPV are
outside this limit. However, to ensure transfer of a
significant credit risk associated with the securitised
exposures to the third parties for recognition of risk
transfer, it is advised that the total exposure of NBFCs to
the SPV and/or securitised assets in the following forms
should not exceed 20%, for securitisation
transactions undertaken after date of this circular.
-
Investments in equity/subordinate/senior tranches of
securities issued by the SPV including through
underwriting commitments.
-
Credit enhancements including cash and other forms of
collaterals including over-collateralisation
If an NBFC exceeds the above limit due to devolvement of
underwritten securities, the excess amount would be deducted
from capital.
5. Hedging of Minimum Risk Retention not permitted
NBFCs should not hedge the credit risk in the retained
exposures counting towards the minimum retention
requirements.
6. Securitisation Activities/Exposures not Permitted
in India
It is clarified that the NBFCs in India are not
permitted to undertake the securitisation activities or
assume securitisation exposures like Re-securitisation of
Assets, Synthetic Securitisations, Securitisation with
Revolving Structures etc.
7. All other guidelines on securitisation of
assets contained in Circular
DBOD.NO.BP.BC.60/21.04.048/2005-06 dated February 1, 2006 as
revised from time to time, remain unchanged.
Yours sincerely,
(Uma Subramaniam) Chief General
Manager-in-Charge
|