Liberalisation of Investments in IFSC
Introduction
In February 2021, the Reserve Bank of India (RBI) had decided to permit resident individuals to make investments in the International Financial Services Centers (IFSC) under the Liberalized Remittance Scheme (LRS Scheme) with a view to strengthen the financial markets in IFSC and to provide Indian resident individuals with the opportunity to expand and diversify their portfolios.
The RBI’s LRS Scheme permits a resident individual to freely remit funds outside India up to USD 2,50,000 per Financial Year (April-March) for any permitted current or capital account transaction or a combination of both. The LRS Scheme is only available for resident individuals and not for corporates, partnership firms, HUF, trusts, etc.
As per the previous provisions, remittance to IFSC by resident individual under the LRS Scheme was only permitted for the following purposes:
|
Investing in securities except those issued by entities/ companies’ resident in India; and |
|
Payment of fees for education of foreign universities or foreign institutions in IFSC. |
The limited scope for investments by resident individuals in IFSC created hurdles in generating interest in the financial centre and unlocking its true potential. Thereby, in a move to boost the investment portfolios of resident individuals and to meet the standards of global financial centres, the RBI, on 10 July 2024, expanded the scope of investments allowed to be made by resident individuals in IFSC. The resident individuals can now open a Foreign Currency Account (FCA) in IFSC for the following purposes and monies up to the LRS limit can be transferred in these accounts.
|
Investment in financial services or financial products within IFSC as per the International Financial Services Centres Authority Act, 2019; and |
|
All permissible current and capital account transaction in foreign jurisdiction (other than IFSC) through an FCA held in IFSC. |
Comment:
The liberalization has provided opportunities to resident individuals with a wide array of investment activities like purchasing overseas property, purchasing foreign insurance, and sending gifts abroad, and has effectively removed the limitations of the scope that the erstwhile provision imposed. With the increase in the investment opportunities, the interest of investors in the financial center should multiply, especially for the High-Net-worth Individuals who were more inclined towards opening accounts in financial centers located in Dubai and Singapore.
The amendment also promotes financial inclusion of resident individuals and leads to the development of the financial sector by providing various investment opportunities in advanced financial products for both domestic and international players.
In line with the government’s agenda of developing the financial sectors in the country, the move to liberalise remittance by resident individuals in the IFSC coupled with the recent implementation of the Development of Enterprise and Service Hubs Bill, 2022 to revive interest in the Special Economic Zones strongly indicates towards government interest in encouraging investments and development of IFSC and strengthening India’s financial ecosystem through a globalisation stride.
From a practical transactional standpoint, we would suggest that any proposed remittance by the resident individuals (i) to the FCAs opened in the IFSCs by resident individuals; and (ii) to foreign jurisdictions from the FCAs, is evaluated in light of the applicable requirements of the Indian foreign exchange regime.
- Moin Ladha (Partner); Charu Singh (Senior Associate) and Tanish Prabhakar (Senior Associate)
For any queries please contact: editors@khaitanco.com
We have updated our Privacy Policy, which provides details of how we process your personal data and apply security measures. We will continue to communicate with you based on the information available with us. You may choose to unsubscribe from our communications at any time by clicking here.
For private circulation only
The contents of this email are for informational purposes only and for the reader’s personal non-commercial use. The views expressed are not the professional views of Khaitan & Co and do not constitute legal advice. The contents are intended, but not guaranteed, to be correct, complete, or up to date. Khaitan & Co disclaims all liability to any person for any loss or damage caused by errors or omissions, whether arising from negligence, accident or any other cause.
© 2024 Khaitan & Co. All rights reserved.
Mumbai
One World Centre
10th, 13th & 14th Floor, Tower 1C
841 Senapati Bapat Marg
Mumbai 400 013, India
Mumbai
One Forbes
3rd & 4th Floors, No. 1
Dr. V. B. Gandhi Marg
Fort, Mumbai 400 001
Delhi NCR (New Delhi)
Ashoka Estate
11th Floor, 1105 & 1106,
24 Barakhamba Road,
New Delhi 110 001, India
Kolkata
Emerald House
1B Old Post Office Street
Kolkata 700 001, India
Bengaluru
Embassy Quest
3rd Floor
45/1 Magrath Road
Bengaluru 560 025, India
Delhi NCR (Noida)
Max Towers,
7th & 8th Floors,
Sector 16B, Noida
Uttar Pradesh 201 301, India
Chennai
8th Floor,
Briley One No.30
Ethiraj Salai
Egmore
Chennai 600 008, India
Singapore
Singapore Land Tower
50 Raffles Place, #34-02A
Singapore 048623
Pune
Raheja Woods
03-108-111, 3 Floor
8, Central Avenue, Kalyani Nagar
Pune - 411 006, India
Gurugram (Satellite Office)
Suite No. 660
Level 6, Wing B,
Two Horizon Center
Golf Course Road, DLF 5
Sector 43, Gurugram
Haryana 122 002, India
Ahmedabad
1506 - 1508, B-Blockr
Navratna Corporate Parkr
Iscon Ambli Road, Ahmedabadr
Gujarat - 380058