SEBI bars intermediaries and their agents from any kind of association with unregistered entities (including finfluencers)
Avinash Shetty, Manager and Garima Chugh, Executive | corplaw@vinodkothari.com
Refer our related resources below:
Avinash Shetty, Manager and Garima Chugh, Executive | corplaw@vinodkothari.com
Refer our related resources below:
– Vinod Kothari and Payal Agarwal | corplaw@vinodkothari.com
A recent UNCTAD Report[1] highlights the financing gap in sustainable development – citing the need for around $4 trillion additional investment annually for developing countries. India is no exception, in fact, various studies[2] suggest the high sustainable finance gap in the country. As the need for sustainable finance continues to grow, so does the regulator’s vigilance towards providing a definite regulatory framework around the same. In this context, SEBI has released a Consultation Paper on expanding the scope of Sustainable Finance framework in the Indian securities market[3].
The Consultation Paper proposes to expand the current regulatory framework around green debt securities[4], by including other forms of sustainable or thematic bonds[5]; to be covered by a broader expression “ESG Debt Securities”. The Paper also proposes to introduce a framework for Sustainable Securitised Debt Instruments (SDIs). In this write-up, we briefly discuss the concept of green and sustainable securitisation, and give our recommendations for the suggested framework for Green and Sustainable Securitisation in India.
Issuer to provide Liquidity Window facility to eligible investors effective from Nov 1, 2024
Vinita Nair & Palak Jaiswani | corplaw@vinodkothari.com
August 18, 2024 (Updated October 22, 2024)
While SEBI took numerous measures to deepen the bond market and increase transparency and participation viz., Electronic Book Building Platform (‘EBP) for issue above Rs. 50 cr., Request for Quote (‘RFQ’) platform, reduction in face value of privately placed bonds, online bond platform (‘OBP’), corporate bond repo system etc, illiquidity in bond market continued to remain one of the major concerns for SEBI. To address the issue of liquidity mainly for retail investors, SEBI vide its consultation paper dated August 16, 2024, had proposed the introduction of Liquidity Window facility, a unique concept in bond market. SEBI notified this facility vide circular dated October 16, 2024 effective from November 01, 2024.
What is the proposed Liquidity Window Facility (‘LWF’):
LWF, at the issuer’s discretion, allows eligible investors to exercise a put option on NCDs on predetermined dates. This enables investors to sell their securities back to the issuer, removing the need to find prospective buyers in the market. In this setup, the issuer assumes the role of market maker, a concept that has not yet been fully implemented in the bond market.

Other Conditions:
[1] Minimum 15% was proposed in the CP.
[2] CP proposed the date of valuation as the day of closure of liquidity window.
[3] Not proposed in the CP earlier.
[4] Not proposed in the CP earlier.
[5] Not proposed in the CP earlier.
[6] Not proposed in the CP earlier.
[7] CP proposed the timeline of 3 working days from the date of window closure
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– Palak Jaiswani, Manager | Corplaw@vinodkothari.com
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Vinita Nair and Prapti Kanakia l corplaw@vinodkothari.com
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