---
title: "Mutual Funds – A Closed Chapter for Unlisted Debt Funds"
date: 2019-11-01
author: "Ujjal Chattopadhyay"
url: https://ksandk.com/investment/mutual-funds-a-closed-chapter-for-unlisted-debt-funds/
---

# Mutual Funds – A Closed Chapter for Unlisted Debt Funds

Posted On - 1 November, 2019 • By - Ujjal Chattopadhyay

### **What is there in the Securities and Exchange Board of India  

(SEBI) Stricture?**

SEBI, vide its circular dated 1st October 2019 (“Circular”)  

has mandated and restricted all Mutual Funds to invest only through the listed  

and rated debt mutual funds and Securities channel, paving the way for enhanced  

credit risk management. This will result in higher and secured returns for the  

investors and fund managers.

The Circular further instructs that it will not stop the  

funds to invest in unlisted Non-Convertible Debentures (NCDs) on the condition  

of maintaining a simple and verified structure.

The Circular also grants leverage to invest in Securities  

under the government issuance and control and also in those for whom the credit  

rating is usually not ascribed.

### **A Critical Post-Mortem**

The Circular is the stepping stone of a new era where the  

rights of the Fund Manager Companies of Debt Funds are severely curbed in so  

far as the investment in unlisted, unrated and credit enhanced securities are  

concerned. SEBI has actually attempted, with all sense and logic, to increase  

the security parameters and minimise the risk factors in investing funds in  

unlisted commercial papers. It is a proven methodology that the mandatory  

listing always forces and obligates the issuing companies of Debt Funds to  

furnish some additional declarations and trivia pertaining to their financial  

profile and thereby making things more transparent for the investors and the  

regulatory authorities.

Further, the Circular provides a fair restrictive measure to  

tightrope and prevent the unlisted commercial papers from being over-exposed  

and squeezed which has so far been the main source of a number of issues in the  

recent debt crisis. The Circular has made the domain a lot more rigorous and  

drastic for the Mutual Funds by absorbing the unexpected and increasing  

exposure to unrated debt funds, to a reasonable limit of just 5% of the net  

assets of a scheme compare to the present 25% irrelevant and harmful exposure  

allowed to such securities.

These guidelines by SEBI are expected to be beneficial in  

multiple ways as it will improve and bring back the confidence of the investors  

in debt funds, once lost in insecurity whirlwind. Moreover, it is helpful in  

diversifying scheme portfolios according to requirements and trends. Additionally,  

the guidelines facilitate regrouping the level of risk management.

One of the major revelations and key reforms of this Circular  

is that Debt Mutual Funds can only invest in listed securities including but  

not limited to listed commercial papers and prescribes certain limits for  

investment in sponsored group and sector exposure.           

Though many Debt Mutual Funds have taken and recorded in  

their Books of Account investment in Commercial Papers on an unlisted footing  

prior to this Circular coming into effect, SEBI has now outlined a procedure  

for the same towards a workable resolution to the effect that such funds shall  

be allowed to be held till maturity.

The Circular also ignites controversies and debates as one  

major flaw still exists in the form of indulgence to unwanted exposure to  

non-sponsor groups at a pretty higher quantum and no real regulatory actions  

prescribed to limit its volume. Further, criticisms and contra feedback are  

being posted recurrently saying that these new measures will definitely fetch  

the best from all Asset Management Companies (AMC). And AMCs will be agile  

enough to remain glued to their objectives in determining the creditworthiness  

of the issuers and helping in decreasing the dependency level on different credit  

rating agencies. A few have given their statements unhesitatingly that this Circular  

is at a very precarious stage insofar as its applicability and enforceability are  

concerned. The wide-ranging norms under this Circular will be implemented  

within one month after the framework for listing all commercial papers and Debt  

Mutual Funds is structured and made functional or by 1st January  

2020, whichever is later. A fund manager didn’t even let that situation go  

where doubt had been cast as a common practice regarding the financial  

credibility of the issuers and this Circular will invariably add an extra layer  

in the disclosures of the issuers’ financial data and profiles and will also  

enhance transparency tier and the Debt Funds will now get a real thrust and  

boost but that is more of an operational change rather than a change in  

strategy, provisions, and methodology as many Commercial Paper issuers were  

already issuing listed NCDs. Many schemes have an unambiguous write-up including  

provisions laid down in their scheme information documents for remedying  

various breaches and contraventions, therefore, no regulatory framework is  

required on the same.    

### **How It Ends?**

The sublime principle in Circular is armoured with  

multifaceted wings and weapons and the Circular has created a good notch from  

the regulatory aspect as it brings about some much expected and much-awaited  

tightening of the investment norms in Debt Funds market although some of the  

major bugs remain unattended and not fixed yet.

SEBI is surely working on it and shall put the Circular on a  

review table for a microscopic screening and scrutiny of the Circular where we  

all will have a flawless and all-pervading, purpose serving, object-oriented  

and centralised circular in force.

That day is nearby to welcome the Circular and stricture  

with grace!!!            

### Contributed By – Ujjal Chattopadhyay  
Designation – Senior Consultant

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---

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