---
title: "FEMA20(R) Revamped: Government’s continuous approach to increase foreign investment inflow"
date: 2019-11-27
author: "Mohana Roy"
url: https://ksandk.com/investment/fema20r-revamped-governments-continuous-approach-to-increase-foreign-investment-inflow/
---

# FEMA20(R) Revamped: Government’s continuous approach to increase foreign investment inflow

Posted On - 27 November, 2019 • By - Mohana Roy

![Indian currency and financial documents representing FEMA foreign investment regulations](https://ksandk.com/wp-content/uploads/FEMA-Revamped-e1574832396780.jpg)

The Foreign Direct Investment (“**FDI**”) equity inflow in India dropped in  

2018-2019. This has happened for the first time in the past six years, says the  

data[[1]](#_ftn1)  

released by the Department for Promotion of Industry and Internal Trade(“**DPIIT**”). The falling equity inflows  

triggered the government to examine India’s Foreign Direct Investment Policy (“**FDI Policy**”). After much deliberation,  

the government recently came up with the Foreign Exchange Management (Non Debt  

Instruments) Rules, 2019 (the “**Rules**”)  

and the Foreign Exchange Management (Debt Instrument) Regulations, 2019 (the “**Debt Regulations**”), and the Foreign  

Exchange Management (Mode of Payment and Reporting of Non-Debt Instruments)  

Regulations, 2019 superseding the Foreign Exchange  

Management (Transfer of Issue of Security by a Person Resident outside India)  

Regulations, 2017(“**Erstwhile Regulation**”) and the Foreign Exchange  

Management (Acquisition and Transfer of Immovable Property in India)  

Regulations, 2018. Not only these but the government in August 2019 amended the  

FDI Policy in order to open up new sectors and liberalise the existing FDI  

Policy with a view to increase the FDI inflow and create more opportunities in  

the Indian market. Further, DPIIT also released Press Note 4(2019 Series) in  

September 2019 consolidating all the amendments in FDI Policy.

The  

article further discusses the pertinent features of the Rules, the Debt  

Regulation, and the amended FDI Policy.

**Non-Debt  

Instruments Rules[**[2]**](#_ftn2)**

The  

Rules governs the provision related to investment by a person resident outside  

India by way of various equity instruments such as rights issue, bonus issue,  

employee stock option, sweat equity, etc.

The  

Rules has replaced the definition of capital instrument as defined under the  

Erstwhile Regulation with *equity  

instruments, debt instruments, and non-debt instrument.*However, there is no  

difference in the terms of the capital instrument and equity instrument. The  

detail definition of equity instrument remains same as the definition of the capital  

instrument.

Further, the Rule has added ambiguity with regards  

to the treatment of non- convertible, optionally convertible preference shares  

as it has removed the explanation provided along with the definition of the capital  

instrument under the Erstwhile Regulation.

Furthermore,  

optionally or partially convertible preference shares has been included under  

the definition of “hybrid securities” which is defined as *instruments such as optionally or partially convertible preference  

shares or debentures and other such instruments as specified by the Central  

Government from time to time, which can be issued by an Indian company or trust  

to a person resident outside India.*  However,  

the Rules does not prescribe any terms and conditions or criterion for the issue  

of such hybrid securities as of now.

The  

Rules also brings non-debt instruments such as units of Alternative Investment  

Funds (**AIFs**), Real Estate Investment Trust (**REITs**) and Infrastructure  

Investment Trusts (**Invits**), units of mutual funds or Exchange-Traded  

Fund (**ETFs**) which invest more than fifty per cent in equity,  

acquisition, sale or dealing directly in immovable property, contribution to  

trusts, etc.  under its purview. However,  

the treatment of such instruments could not be determined at this early stage.

The  

Rules have now allowed Foreign Portfolio Investment (FPI) investment in Category  

III AIFs. However, it is mandatory for the FPIs to obtain no- objection under  

the SEBI (Mutual Funds) Regulations, 1996 and to invest in such AIFs which  

further invest more than 50% in equity or in REITs.

Further,  

the sectoral cap for FPI has been revised with effect from April 1, 2020. Now  

the cap for FPI shall be the relevant sectoral cap, whereas for lowering the  

limit, a company shall require to pass a board resolution to that effect before  

March 31 2020. The Rules also allow the companies to increase the limit after  

decreasing, however, it does not allow to decrease the limit again once it has  

been increased.

For  

the companies where FDI is prohibited, the FPI cap shall remain at 24 % in  

aggregate.

The  

Rules has done away with the requirement of a certificate from the statutory  

auditor of the Indian subsidiary company for the purpose of pre-incorporation  

expense from the foreign holding company, which was a mandate under the  

Erstwhile Regulation.

The  

definition of e-commerce entity under the Rules no longer includes a foreign  

company and now, an e-commerce business can only be undertaken by a company  

incorporated in India under the Indian Corporate laws. It also excludes branch,  

office or agency in India owned by a person outside India. Hope this change  

will remove the confusion which was there with regards to the inclusion of  

foreign companies.

Further,  

the most significant change brought in by the Rules is the dilution of  

authority. Earlier it was only the Reserve Bank of India (“**RBI**”) who was empowered to provide approvals for transactions under  

the Erstwhile Regulation, however, now the final authority rests with the  

Central Government as the RBI shall have to consult with the Central Government.

Along  

with the Rules, the government has also notified the Foreign Exchange Management (Mode of Payment and  

Reporting of Non-Debt Instruments) Regulations, 2019, which prescribes the  

compliance requirements on the investment made by a foreign person in India and  

the mode of remittance of payments.

### **Debt  

Regulation**

The  

Erstwhile Regulation constituted both debt and non-debt instruments and  

investment by the foreign person on the same under a single roof, however, post  

the suppression of the Erstwhile Regulation, debt instruments are brought under  

the Debt Regulation. It will govern the issuance of government bonds, corporate  

bonds, depository receipts whose underlying securities are debt securities.  

However, there are ambiguities with regards to non-convertible or optionally  

convertible instruments as they are presently not made part of the Debt  

Regulation**.**

### **FDI Policy Press  

Note 4 (2019 Series)**

The  

Government of India, in September 2019, amended the FDI Policy to liberalise  

foreign investment norms. The Press Note 4 especially liberalised and eased the  

policy pertaining to single, brand retailing, contract manufacturing, digital  

media sector, and coal mining[[3]](#_ftn3).

### **Conclusion**

Where the recent developments by the government are in order to increase the equity inflow by liberalizing the current regime, the government skipped incorporating the changes brought in by Press Note 4 (2019 Series). In such a scenario it is difficult to interpret government’s intentions as definitely government does not intend to go back to a stricter or stringent regime from a liberalised one. However, the changes brought in by the government by bifurcating the framework between debt and the non-debt instrument is a welcoming change and indeed it will ensure the efficacy in compliance and reporting by the entities as well as provide a friendly environment to the foreign entities for investment in India. However, the present form of the Rules and the Debt Regulation will also add up to confusion which the government must clarify.

---

- [[1]](#_ftnref1)Available at  [https://dipp.gov.in/publications/fdi-statistics](https://dipp.gov.in/publications/fdi-statistics).
- [[2]](#_ftnref3) Available at [https://dipp.gov.in/sites/default/files/pn4_2019.pdf](https://dipp.gov.in/sites/default/files/pn4_2019.pdf)

### Contributed By – Mohana Roy  
Designation – Associate

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