PRIMARY DEALERSHIP AND AUDIT OF PRIMARY DEALERSHIP MEANING

 A primary dealer is a firm which buys government securities directly from a government, with the intention of reselling them to others, thus acting as a of government securities. THE BEGINNING……………

 1995 by the RBI in G-Sec Markets  2006-07, (departmentally) were included in order to broaden the scope and system of operation  Standalone PD’s were permitted diversification into other business activities- subject to conditions  As on June 2012- 8 standalone PD’s 13 banks (departmentally) OBJECTIVES

 Strengthen the infrastructure in G-Sec market in order to make it vibrant, liquid and broad based;  Ensure development of underwriting and market making capabilities for G-Sec outside the RBI;  Improve secondary market trading system, which would contribute to price discovery, enhance liquidity and turnover and encourage voluntary holding of G- Sec amongst a wider investor base; and  Make PDs an effective conduit for open market operations (OMO). Diversification of activities by standalone PDs  May bifurcate their operations into core and non-core activities CORE ACTIVITIES

Dealing in:  Government of India Securities (G-SEC)  State Government Securities (SG)  Treasury Bills (T-Bills)  Call Money Market  Interest rate swaps (IRS).  Collateralised Borrowing & Lending Options (CBLO) CORE ACTIVITIES……

 Investment in Security Receipts issued by Securitization Companies/ Reconstruction Companies, Asset Backed Securities (ABS), Mortgage Backed Securities (MBS),  Investment in debt mutual funds where entire corpus is invested in debt securities,  Investments in NCDs, and  Dealing in Credit Default Swaps for corporate bonds, subject to guidelines. OTHER NON-PD ACTIVITIES

 Dealing in Bonds, (CP), , Certificate of Deposits (CD) and Discounted Instruments.

 Debt Capital Market (DCM) Activity: fee based and consists of arranging, underwriting and handling other modalities of debt instrument issues on behalf of corporate clients. NON-CORE ACTIVITIES  Activities which are expected to consume capital  Services which do not consume capital or require insignificant capital outlay  distribution of insurance products  NOT allowed to undertake broking in equity, trading / broking in commodities, gold and foreign exchange.  The exposure to non-core activities shall be subject to the guidelines on regulatory and Prudential norms for diversification of activities by standalone PDs ELIGIBILTY  INSTITUTIONS: a. Subsidiary of scheduled commercial /s and all India Financial institutions b. Subsidiaries/ joint ventures set up in India by entities incorporated abroad. c. Company incorporated under the Companies Act, 1956 and do not fall under (a) and (b) d. Banks which do not have a partly or wholly owned subsidiary undertaking PD business and intend to undertake PD business departmentally Role and obligations of the PD’s

 Support to Primary Market  Market making in G-Sec  Maintain adequate physical infrastructure and skilled manpower  Efficient internal control system  Allow RBI to access all records, books, information and documents  Satisfy the minimum criteria of PD’s investment on a daily basis in G-Sec, including T-Bills and CMBs Role and obligations of the PD’s….

 Maintain the annual turnover criteria  Submission of periodic returns, as prescribed by the RBI  Operations of the PDs are subject to prudential and regulatory guidelines issued by the RBI Facilities from RBI, subject to review, depending upon the market conditions and requirements

 access to Current Account facility with RBI  access to Subsidiary General Ledger (SGL) Account facility with RBI  permission to borrow and lend in the money market  memberships of electronic dealing, trading and settlement systems (NDS platforms/ INFINET/ RTGS/ CCIL); Facilities from RBI……

 access to the Liquidity Adjustment Facility (LAF) of RBI;  access to liquidity support from RBI under a scheme separately notified for standalone PDs  access to OMO by RBI. Regulations and Compliances

 Requirement to meet registration and other requirements as stipulated by (SEBI), if they undertake any activity regulated by SEBI.  Join Primary Dealers Association of India (PDAI) and Money Market and Derivatives Association (FIMMDA) and abide by their code of conduct and such other actions as initiated by them in the interest of the securities markets. Regulations and Compliances…

 In respect of transactions in G-Sec, have a separate desk and maintain separate accounts in respect of its own position and customer transactions and subject them to external audit  Any change in the shareholding pattern / capital structure needs prior approval of RBI. Report any other material changes such as business profile, organization, etc. affecting the conditions of licensing as a PD to RBI immediately Regulations and Compliances…

 RBI reserves the right to cancel the Primary Dealership if, in its view, the concerned institution has failed to adhere to the terms of authorization or any other guidelines  Should bring to the attention of RBI any major complaint against it or action initiated/taken against it by authorities such as the Stock Exchanges, SEBI, CBI, Enforcement Directorate, Income Tax Department, etc. Supervision by RBI

 Off-site supervision

 On-site inspection Role of PDs in the Primary Market

 Underwriting of Dated G-Sec o Dated securities of Central Government o Dated securities of State Governments  Bidding in Primary auctions of T- Bills/CMBs  ‘When-Issued’ transactions in Central G- Sec Role of PDs in the Primary Market…….

 Submission of non-competitive bids  Sale of securities allotted in primary issues on the same day  Submission of client bids in the primary auctions  Settlement of primary auctions  Secondary Market Transactions - Short- selling PDs’ operations - Sources and Application of funds

 Permitted to borrow funds from call/notice/term money market and repo  Eligible for liquidity support from RBI  Limits on borrowing and lending are subject to periodic review by RBI  Liquidity Support from RBI  Inter-Corporate Deposits (ICDs)  PDs are prohibited from placing funds in ICD market  FCNR (B) loans PDs’ operations - Sources and Application of funds…..

 Not permitted to raise funds through External Commercial Borrowings  Issuance of Non-Convertible Debentures (NCDs)  Reporting Requirements Investment Guidelines

 Frame and implement, a Board approved, investment policy and operational guidelines on securities transactions  Hold their investments in G-Sec portfolio in SGL with RBI  Hold all other investments such as CPs, bonds and debentures (privately placed or otherwise) and equity instruments, only in demat form.  All problem exposures, not backed by any security or backed by security of doubtful value, should be fully provided for. Investment Guidelines……….

 The profit and loss account should reflect the problem exposures  Should formulate, within the above parameters, their own internal guidelines on security transactions in both primary and secondary markets, with the approval of their Board of Directors  HTM Portfolio  Guidelines on investments in non-G-Sec  Exposure Norms Prudential Systems/Controls  Internal Control System in respect of securities transactions  Purchase/Sale of securities through SGL transfer forms  Bank Receipt or similar receipt in respect of transactions in G-Sec  Accounting Standards for securities transactions  Reconciliation of holdings of G-Sec  Transactions on behalf of Constituents  Failure to complete delivery of security/funds in an SGL transaction OTHER GUIDELINES

 Interest Rate Derivatives  Declaration of dividend  Corporate Governance  Prevention of Money Laundering Act, 2002 - Obligations of NBFCs  Violation/Circumvention of Instructions  Disclosure of Penal Actions  Exit / Termination procedure  THANK YOU