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Islamic Banking
Current Scenario & Way ahead
Presentation by
Muhammad Imran
Head of Islamic Banking
Standard Chartered Bank
Nov.17, 2005
Islamic Banking
Is this about Islam?
Or
about Banking?
What has Religion got to do with Economics & Banking?
 What is economics?
“To utilize the limited resources in a way that maximum needs and
wants are met to ensure the well being of all members of the
human society.”
 The four basic economic problems:
1. Determination of Priorities
2. Allocation of Resources (Land, Labor, Capital, Entrepreneur)
3. Distribution of Income
4. Development
We will compare how Capitalism, Socialism and Islamic Economic
system addresses to these problems.
Economics & Its Problems
Comparison of Capitalism & Socialism
Capitalism Socialism
1. Determination
of Priorities
2. Allocation of
Resources
3. Development
• Every individual has
unconditional &
absolute right to
participate in any
business to maximize
profits
• Concept of Selfish
Interest
• Supply & Demand will
determine the priorities.
• No individual has the
right to participate in
any business
independently.
• State will determine the
priorities as per the
overall planning.
• Concept of collective
interest.
• Market forces will
decide where to
invest resources
• Govt. will decide
where to allocate
resources
• Market forces will
decide
• Govt. will decide
Comparison of Capitalism & Socialism
Capitalism Socialism
Right to
Wealth
• Land - Rent
• Labor - Wages
• Capital- Interest
• Entrepreneur- Profits
4. Distribution of
Income
• Land – Rent fixed by
Govt.
• Labor – Wages fixed by
Govt.
Right to wealth is
with the factors of
production only.
Right to wealth is
with the Govt.
which then
distributes it
among the factors
of production.
Flaws of Capitalism
 No bindings/ restrictions while maximizing profits.
 Blindly follows market forces that creates exploitation of labor & poor people.
 No moral value limitations.
 Monopolies & Cartels are created that exploit the society as a whole.
 Government & Industrialists join hands for mutual benefit and make laws
that exploit common people.
 Imbalance in the distribution of income due to which concentration of wealth
takes place.
Flaws of Socialism
 The other extreme of not even giving the natural freedom.
 Perfect Planning is assumed to be the “Cure of all ills”.
 Governments are assumed to be angels which can’t commit a deliberate
mistake.
 Cannot work without forceful dictatorship.
 Creates overall inefficiency in the society. There is no incentive to work
efficiently as there is no individual profit motive.
What is Islamic Economics
 Islam is a Deen which gives guidance for Aqaid, Ibadat, Mu’ashrat, Akhlaq &
Mu’amalat.
 Hidaya- famous nook of Fiqh has 70 % portion dedicated to Mu’amalat.
 The humanitarian goal of achieving the well being of all members of the human family
cannot be attained by concentrating primarily on the material constituents of well-
being and making maximization of wealth as the main objective of Economics.
 It is also necessary to raise the spiritual content of well being and reduce all the
symptoms of anomie, like family disintegration, heavy interest based debt payments,
conflict and tensions, crime, alcoholism, drug addiction, and mental illness, all
indicating lack of inner happiness and contentment in the life of individuals.
 Capitalism as well as Socialism have both failed to lead mankind
to such an overall well-being. It is therefore, necessary to lay down the contours of a
new system which could help optimize human well-being as per the divine guidelines of
Allah.
Islamic Economic System
 Islam accepts the market forces of supply and demand- Reference of Holy
Quran.
 In fact Islam gave the concept of Market Forces 1300 years before Keynes
presented the modern model of Economics in 1927.
 Islam accepts the right to private property and accepts the right to maximize
profits. But these rights are not unbridled and un conditional rather there are
some prohibitions.
Islamic Economic System- The
prohibitions & considerations
1. Divine Prohibitions:
Islam has prohibited some economic activities that are not allowed at any time
at any place.( Interest, Gambling, Hoarding etc.)
2. Govt. Restrictions:
Islam allows Govt. to intervene where it feels appropriate , but these
restrictions are temporary as per the need of the time.
3. Moral Considerations & Restrictions (ROIA)
Life in this world is temporary and there is an eternal life after words. One
has to make this worldly life a way to get the maximum benefit in the life
hereafter.
Factors of Production of Production in
Islamic Economic System
 In Islam there are three factors of production
1.Land 2. Labor 3. Entrepreneur
 Entrepreneur & Capital is a single factor of production.
 As interest is Haram hence the risk of profit & loss is with the capital.
 Anyone investing capital must also take the risk of the investment.
Right to Wealth in Islam
 In both Capitalism & Socialism the right to wealth is with those factors of
production only that have taken part directly in the process of production.
 Islam believes that the original ownership of everything is with Allah and
without Allah’s “Taufeeq” no factor of production can produce anything.
ALLAH
Factors of Production
Secondary owners of wealth
Zakat, Ushr
Wirasat, Sadqaat
Qurbani,Khiraj
Summary of The Comparison
 Capitalism gives unbridled and un-conditional right to profit motive and
private ownership, while socialism goes to other extreme by assuming that
perfect planning by the govt. is the cure of all ills.
 Islam gives a balance view among the two extremes by recognizing the right to
private ownership, market forces and profit motive but under the restrictions
of:
1. Divine restrictions 2. Govt. restrictions 3. Moral considerations
 Islam ensures equitable distribution of wealth through the concept of primary
and secondary ownership.
 All these factors combined have a cumulative effect of achieving the well being
of all members of the human society.
 What is Islamic Banking?
“Islamic Banking is interest free Asset Backed banking governed by
the principles of Islamic Shariah”
 Islamic Banking distinguishes from Conventional Banking
in four basic principles:
1. Interest Free Transactions.
2. Risk Sharing
3. Asset & Service Backing
4. Contractual Certainty( Gharar free contracts)
Islamic Banking Video
Islamic Banking-the concept
Islamic Banking- Current Scenario
Islamic Banking Pakistan
5 years Scenario
Year 2001
•Meezan Bank
•Al Baraka •Meezan Bank
•Al Baraka
•MCB
•Alfalah
•SCB
•Bank AlHabib
•Habib AG Zur.
•Metropolitan
•Bank of Khyber
•Soneri Bank
2002 2003
•Meezan Bank
•Al Baraka
•MCB
•Meezan Bank
•Al Baraka
•MCB
•Alfalah
2 10
2005
•Meezan Bank
•Al Baraka
•MCB
•Alfalah
•SCB
•Bank AlHabib
•Habib AG Zur.
•Metropolitan
•Bank of Khyber
•Soneri Bank
•HBL
---------------
Coming Up 2006:
•Bank Islami
•DIB
•Emirates Int’l
•First Dawood
•NBP
•ABN AMRO
•Askari
•PICCIC
2004
11
4
3
 In 2001, the industry comprised of just two players
Currently there are 2 full fledged Islamic Banks, while
9 Banks have set up Islamic Banking Divisions (IBDs)
In 2006, the industry is expected to be comprised of 6 Full
fledged Islamic Banks and 12 Banks with IBDs
Islamic products and services offered by 250+
Financial Institutions around the world
Note: Figure indicates number of Islamic FIs in the country. Only some of the key FIs are shown for each country
United States: 20
- Al Manzil Financial Services
- American Finance House
- Failaka Investments
- HSBC
- Ameen Housing Cooperative
Germany: 3
- Bank Sepah
- Commerz Bank
- Deutsche Bank
Switzerland: 6
UK: 26 (primarily
branches of Gulf and
global banks)
- HSBC Amanah Finance
- Al Baraka International Ltd
- Takafol UK Ltd
- The Halal Mutual
Investment Company
- J Aron & Co Ltd (Goldman
Sachs)
Bahrain: 26
- Bahrain Islamic Bank
- Al Baraka
- ABC Islamic Bank
- CitiIslamic Investment Bank
Malaysia: 49
2 - Pure Islamic Banks (Bank
Islam, Bank Muamalat)
Rest - conventional banks
Saudi Arabia: 10
- Al Rajhi
- SAMBA
- Saudi Hollandi
- Riyadh Bank
UAE: 9
- Dubai Islamic Bank
- Abu Dhabi Islamic Bank
- HSBC Amanah
Qatar: 4
- Qatar Islamic Bank
- Qatar International Islamic
Kuwait: 5
- Kuwait Finance House
Iran: 8
Egypt: 7
- Alwatany Bank of Egypt
- Egyptian Saudi Finance
Indonesia: 4
Sudan: 9
Pakistan: 5
India: 3
Bangladesh: 3
Turkey: 7
- Faisal Finance
Institution
- Ihlas Finance House
Yemen: 5
 The size of Islamic Financial Industry has reached US$ 250 Bln.
and its growing annually @ 15% per anum.
 42 countries have Islamic Banking Institutions
 27 Muslim countries including Bahrain, UAE, Saudi Arabia,
Malaysia, Brunei and Pakistan
 15 non-Muslim countries including USA, UK, Canada, Switzerland,
South Africa and Australia
International Overview
Leading foreign Banks have opened Islamic Banking windows or
subsidiaries such as:
• Standard Chartered Bank
• Citibank
• HSBC
• ABN AMRO
• UBS
International Overview
 In Feb 1999, Dow Jones introduced the Dow Jones
Islamic Market Index (DJIM) of 600 companies world
wide whose business complies with Islamic Shariah laws
 At present there are more than 105 Islamic Funds
operational through out the world with a total fund base
of over USD 3.50 billion
International Overview
 Governments of Bahrain ,Malaysia and now Pakistan
have issued Islamic Bonds (Sukuk) in order to facilitate
Islamic Banks in managing their liquidity.
 Issuance of these bonds has also paved the way for
Shariah compliant Government borrowings.
International Overview
 Institutions like Accounting and Auditing Organization for Islamic
Financial Institutions (AAOIFI) and Islamic Finance Services Board
(IFSB) have been formed.
 These institutions are playing a key role in setting up and
standardizing Shariah , Financial and Accounting standards for
Islamic Financial Institutions.
 Due to these collective efforts Islamic banking is now recognized
by IMF, World Bank and Basel Committee.
International Overview
Structure of Key Islamic Products
 Murabaha refers to contracts in which a financial institution purchases goods upon the
request of a client, who makes deferred payments that cover costs and agreed-upon profit
margin for the financial institution.
 Murabaha is the most widely used instrument of Islamic finance with 75% of total contracts
being Murabaha based. It is widely used in consumer and corporate financing as well as in
subordinated or term financing. The responsibilities of the various parties to a Murabaha
contract are set out below:
 The bank buys asset from the vendor at P
 The customer then buys the asset from the bank at marked up price (P+X), which
is payable on a deferred payment basis.
 The period covering the deferred payment is effectively the period of financing
 The title to the assets is transferred to the customer at the time of the customer’s
purchase of the asset.
Vendor Customer
Islamic Bank
Payment of marked
up price (P+X)
Payment of
purchase price (p)
Transfer of
titles to bank
Transfer of title
to customer
Murabaha- Concepts
Mudaraba- Concepts
 A Mudaraba is a contract between investors and a financial institution that, acting as a silent
partner, invests deposits in a commercial activity that earns each partner an agreed upon
portion of the profits of the profits venture. The responsibilities of various the parties to a
Mudaraba are
 A (investor) provides B (Mudarib) all the capital to fund a specific enterprise.
 B does not contribute capital but contributes management expertise (or
entrepreneurship)
 B is responsible for the day-to-day management of the enterprise and is entitled to
deduct its management fee (Mudarib fee) from profits.
 The Mudarib fee could be a fixed fee (to cover management expenses) and a
percentage of the profits or a combination of the two.
 The balance of the profit of the enterprise is payable to A
 If the enterprise makes a loss, A (as the investor) has to bear all the losses unless
the loss has resulted from negligence on the part of B (the Mudarib)
Investment
/trading
activity
Islamic Bank
Entrepreneur (mudarib)
Periodic profits and return
of capital customer
Payment of
mudarabah capital
customer
 A Musharaka is a partnership between parties in which one or several parties supply working
capital. Notes of participation sold to investors provide the funding. Musharaka is widely used
for joint venture investments. The responsibilities of the various parties to a Musharaka
contract are given below:
 Both the investor and the enterprise contribute towards the capital
 Under a “diminishing” Musharaka, the enterprise buys out the investor’s share over a
period of time.
 The enterprise and the investor share in the profits according to the agreed
proportions, which may be different from the proportions of capital contributed. Any
losses of the enterprise will be borne by the investor and the enterprise according to
their contributions
Islamic Bank
Partner (customer)
Musharaka
60% ownership 40% ownership
Musharaka- Concepts
 An Ijara is a lease purchase contract in which a financial institution purchases capital
equipment or property and leases it to an enterprise. The financial institution may either
rent the equipment or receive a share of the profits earned through its use.
 Ijara wa-Iqtina is the same as Ijara except that the lessees can acquire ownership of the
asset by making installment payments. The responsibilities of the various parties to an Ijara
wa-Iqtina contract are given below:
 The bank buys the assets from the vendor
 The bank then leases the asset to the customer
 The bank collects periodic rentals
 The title of the asset remains with the bank under an operating Ijara.
 Title passes to the customer under an Ijara muntahia bittamleek, either gradually
over the period of the contract or at the end.
Islamic Bank
Vendor Customer (lessee)
Transfer of title
to the bank
Assets leased to the
customer- title does (not)
pass at the end of the lease
term
Payment of purchase
price
Ijarah
installments
Ijara- Concepts
There are two types of Shirkah:
1. Shirkat-ul-Milk
Joint ownership of two or more persons in a particular property
2. Shirkat-ul-Aqd
A partnership affected by mutual contract. It can also be translated as a
joint commercial enterprise
Musharakah
Diminishing Musharaka
 Bank enters into a participation (Shirkat-ul-Milk) arrangement with the
Customer
 Bank provides the larger share of the purchase price of the vehicle
 Bank rents out its share of the vehicle to the customer
 The customer makes regular scheduled investments to increase its equity
in the property over the life of the transaction
 The monthly/ periodic payments are structured to reflect a portion of rent
and a portion of purchase price i.e. EMI = Rent + Purchase of Share
 Once the customer has purchased all of the Bank’s share the ownership
will transfer to the customer with free and clear title to the vehicle
Diminishing Musharaka
0%
10%
20%
30%
40%
50%
60%
70%
80%
90%
100%
Customer Bank
----------Time------->
Ownership Transfer
Diminishing Musharaka
Monthly Rentals
----------Time------->
Rs
Product Comparison
• Joint ownership of asset
• Bank earns through rent
• Ownership risk shared
• Full/Partial prepayment allowed
with profit for sale of Bank’s share
• Title with the customer
• Any financing amount
• Rental arrangement
• Bank earns through rent
• Ownership risk with the Bank
• Only Full prepayment allowed
• Title with the Bank
• Financing amount up to 1 million
Diminishing Musharakah Ijarah
 Istisna’a is primarily a deferred delivery sale contract similar to Salam. It
is similar to conventional work in progress financing for capital project.
In practice it is usually used for construction and trade finance such as
pre-shipment export finance.
Financier Manufacturer
Entrepreneur
Delivery of asset at
future date
Delivery of asset at future
date
Payment of purchase
price on delivery
Progress payment of
purchase price
Concepts
Short/ Medium Term
Financing (Murabaha)
Supplier
Customer
Bank
3. Customer buys
the goods as
Bank’s agent.
Cost: $100
1. Execution of
Murabaha
Agreement.
4. Disbursement
of the Facility.
Facility Amount:
$100
2. Bank appoints
the Customer as
its agent to buy
the goods.
5. Under the Murabaha Agreement the Bank will immediately
sell the goods at $110 (cost plus a profit margin) payable on a
deferred payment terms.
Sale
Features:
• Fixed rate financing only
Uses:
• Inventory Financing
•Financing commodity
purchase
Tenor:
•12-18 months
Risks:
•Credit Risk
Finance Lease (Ijara)
Manufacturer /
Supplier
Customer
Bank
1. Customer buys
the property as
Bank’s agent.
Cost: $100
2. Execution of Ijara
Agreement
3. Disbursement
of the Facility.
Facility Amount:
$100
4. Bank appoints
the Customer as
its agent to buy
the property.
5. Under the Ijara Agreement the Bank will lease the property
immediately.
Lease
Features:
• Floating rate financing
possible
•Can be used for refinancing
Uses:
• Financing Capital
Expenditure
•Financing Big Ticket items
like Aircraft, VLCCs, LNG
Carriers, etc.
Tenor:
•5-7 years
Risks:
•Credit Risk
•Performance Risk
•Cost Overruns
•Ownership Risk
Ijara is used to raise finance against an asset
 XYZ Real Estate Deal : Sale/leaseback of existing properties to fund construction
of new buildings
 Client sells its existing asset to the Bank. The sale can be a beneficial
transfer of ownership or actual legal title transfer
 Bank leases the asset back to the client for the period of financing, against
periodic lease rentals.
 The rentals will comprise of only profit (during grace period) and both profit
and principal payments (during amortisation period). The profit can be linked
to a floating rate index, such as Libor.
 At the end of the term, Bank transfers the asset back to the client either as a
gift or at a nominal sum or at the termination price (if bullet repayment).
 During the lease period, Bank is liable for insurance and major maintenance
as owner of the property. However, Bank can appoint the client as its agent to
perform these tasks
Ijara…illustrative deal
Sukuk Issuance - Key considerations
Sukuks are tradeable Islamic instruments, equivalent to conventional bonds.
 Provides access to the huge and growing Islamic liquidity pool, in addition to the
conventional investor base
 Structure now well established with five sovereign/supranational issues ; initial R&D phase
over
 Wide Shariah acceptability achieved for the underlying Ijarah structure - both in the GCC
and the Malaysian markets
 Conventional investors in Europe and Far East now quite comfortable with Sukuks - as they
consider it on par with conventional bond issuance.
 Demand pull from Islamic banks - Shariah scholars prefer Sukuk investments for liquidity
management over Commodity Murabaha
 Pricing is on par with conventional bond issuance with similar terms
 Secondary market liquidity will develop gradually, as issuance picks up and investors get the
option to trade in their existing ‘hold’ positions for new issues
The Islamic Sukuk Market
 The total worldwide Muslim population is 1.3 billion.
 Sharia-compliant assets, growing over the last 20 years, represent an estimated US$ 250 billion.
 Assets are held by over 200 Islamic Financial Institutions.
 Estimated annual growth for Islamic Assets is estimated at 15%.
 Asia has taken the lead in the Sukuk market. Only in Malaysia, the value of outstanding Islamic corporate bonds stands at
nearly US$ 16 billion, representing the interest in Shariah-compliant products.
 The world stock of sovereign Islamic bonds raised is approximately US$ 3 billion.
 To-date Sovereign / Supra-Sovereign issuance in the Islamic Sukuk Market has been from
- Malaysia, Qatar, Islamic Development Bank, Bahrain, the German State of Saxony and Govt. of Dubai (Oct
2004).
The issuance of international Sukuk is one of the most significant mechanisms for raising
finance in the international capital markets through Islamically acceptable structures.
The Demand for Sukuks
Middle East
 Total Investable Wealth in the Gulf region is estimated at US$ 1.5 Trillion.
 Majority of Islamic Institutions and Islamic Assets are in the Gulf.
Increasing Demand from Conventional Investors
More and more of European and Asian mutual funds, pension managers, financial
institutions and central banks are holding Sukuk paper as part of their diversification
strategy.
 Bulk of the US$ 400 million IDB Sukuk was taken up by conventional investors.
 The State of Qatar's Global Sukuk issue was equally split between
conventional and Islamic investors, at 52% and 48% respectively.
Geographically, approximately 70% of the State of Qatar and IDB Sukuks were placed in the
Middle East, with the remaining being equally distributed into Asia and Europe.
Anchor demand has traditionally come from the Middle East
with healthy distribution into OIC countries, Asia and Europe.
(Source: BMA)
What are Sukuks ?
A Sukuk represents:
 An undivided proportionate ownership interest in an asset
 The corresponding right to the Islamically acceptable income streams generated by the asset.
 These current income streams are established and translated into tradable securities
 Trust Notes or Certificates similar to Equipment Trust Certificates (ETCs) and Unit Trusts
 Issuer creates a trust over the leased Assets
 Trustee issues Sukuk to the Primary Subscribers (the beneficiaries under the trust) in the Primary
Market
 Sukuk Holders have pro-rata undivided beneficial ownership of the leased Assets / Portfolio held in
trust
- As beneficial owners the Sukuk Holders are entitled to the income streams from the Leased
Assets / Portfolio
 The Primary Subscribers can resell the Sukuk in the Secondary Market
 The Secondary Buyer will be the new pro-rata beneficial owner of the Leased Assets held in trust
CLIENT
SPV
Primary
Subscribers
Secondary
Market
2. SPV Leases back the
Assets
Assets
3. SPV Creates a trust in respect
of the “Assets” and issues
Sukuk aI-Ijara to raise $100M
1. CLIENT sells certain assets that it
owns (“Assets”) for $100M. Type of
Assets: Real Property, Moveable
Property, Equipment, and other
tangible assets.
The Sukuk can be listed, rated and will be
approved by SCB Shariah Board
trading
Sukuk
Typical Issuance Structure - Sale and Leaseback
CLIENT
SPV
2. SPV pays $100m as
consideration for the Assets
3. CLIENT pays lease rentals. Lease
Rentals could be Fixed or Floating,
Amortising of non-Amortising (if non-
Amortising, the last lease rental will
include a bullet repayment of $100m)
4. SPV distributes the
lease rentals to Sukuk
Holders (as coupon
payments)
1. Subscribers pay $100m to the SPV
for the Sukuk
Primary
Subscribers
Sukuk
Flow of Funds - Acquisition & Rentals
CLIENT
SPV
Sukuk
Holders
2. CLIENT will pay a nominal amount.
Result: ownership of Assets revert back
to CLIENT
Sukuk
1. SPV will “Put” the Assets to
CLIENT
Assets
Flow of Funds - Repayment & Maturity
Typical Sukuk Structure
Most Sukuk transactions to date have used the Sale & Lease back structure
 Assets free from
encumberances.
 Directly owned by
the Seller or one
of its entities.
 Establish a
bankruptcy remote
special purpose
vehicle (“SPV”)
 Sale of assets to
SPV based on
current market
value
 SPV issues Sukuk
for the same
principal amount
 Receives
subscription
money from
Sukuk holders
 Pays purchase
price to the
Seller.
 Lease-back of
assets by SPV to
the Seller (or
another related
entity)
 Lessee pays
periodic rentals to
SPV - matching
the repayment
profile and tenor
of Sukuk
 SPV declares trust
in the favor of Sukuk
holders (“Trust
Deed”)
 Sukuks issued as a
Reg S/144 A
offering
 Each Sukuk
represents right to
receive periodic
profit distribution
from Sukuk Pool
 Appoint a co-trustee
 To enforce the
rights of Sukuk
holders
 The Lessee will
undertake to
purchase the
assets of the
Sukuk Pool
upon Maturity,
at the
Termination
Price.
Identification of
assets forming the
Sukuk Pool
Sale of the Sukuk
pool to an SPV
Leaseback of Sukuk
Pool to an entity
owned by Qatar
Issuance of the Sukuk
securities
Redemption of
Sukuk securities
Step 1: Step 2: Step 3: Step 4: Step 5:
 The client (i.e. the Seller) will sell the Assets (e.g. land parcels) to an SPV pursuant to a Purchase
Agreement.
 The SPV will issue Trust Certificates to the investors.
 The Trust Certificates represent an undivided beneficial ownership of the Trust Assets, primarily consisting of
beneficial title to the Assets and rights under the related lease agreements.
 Pursuant to a Declaration of Trust, the SPV will declare itself trustee to the Certificate holders for the Trust
Assets.
 Proceeds received by the SPV from the sale of the Trust Certificates will be used to settle the purchase of
the Assets from the Seller.
 The SPV will lease the Assets to GOP under a Master Ijarah Agreement for a period equal to the tenor of
the Sukuk Issue. At the end of the tenor, GOP will acquire the Assets from the SPV and the lease will
terminate.
 Under the terms of the Master Ijarah Agreement, the SPV and GOP will execute consecutive, semi-annual
leases to lease the Assets to GOP for the entire tenor.
 The rental payments under the semi-annual leases to be entered into will be calculated based on LIBOR/Swap
rate + [% p.a.], and GOP will be obligated to pay the Lease Rentals on the agreed lease rental payment dates;
 The SPV will distribute the rental payments received from GOP to the Certificate Holders.
 The SPV will execute a Sale Undertaking Deed, while GOP will execute a Purchase Undertaking Deed.
 Under the Sale Undertaking Deed, the SPV will undertake to sell to GOP the title to the Assets to unwind the
whole transaction if GOP is required to pay additional costs for the transaction as a result of a change in law.
 Under the Purchase Undertaking Deed, GOP will undertake to purchase from the SPV the title to the Assets
upon occurrence of any events of default or upon maturity of the lease agreement.
Transaction Process
SPV
Creation
Valuation
Insurance
 SPV can either be
Incorporated in foreign tax neutral jurisdiction and owned by a charitable
trust, or
Incorporated in the country of the borrower, owned by
 Charitable Trust
 Majority owned by the borrower, with a golden share controlled by a Trustee.
 Fully owned by the borrower, however, effective control vests with the the
Trustee/ Manager to protect Sukuk holders interests.
 Independent market valuation of the Asset will be required.
 Self insurance no longer accepted by Shariah scholars.
 Insurance solutions are available.
Assets
 Possible Assets
 Developmental Land ; Ports / Airports ;Dams, hospitals or other public buildings
 Real estate / plant & machinery
Summary of Issues to be considered
Stamp
duties /
Taxes
 All stamp duties, taxes etc related to the sale / purchase of Assets will need to
be considered (generally waived by sovereign issuers).
Variant - Structure for an Islamic FI
Irrevocable and
Unconditional
Guarantee
Assets Proceeds
Assets Proceeds
Investors
Declaration of Trust / Agency Declaration in
favour of the investors through
appropriate Trustee / Agent
Proceeds
ICD
Sukuk
Certificate
Issuer SPV
Intermediary Company
Investors
Islamic FI
Asset Pool should consist of at least
51% tradeable contracts, such as
Ijara.
Development of the Sukuk Market
Issues launched in the international market include:
1. USD 600 million Trust Certificates by Malaysia Global Sukuk Inc - 2002
2. USD 700 million Qatar Global Sukuk QSC - 2003
3. USD 400 million by the Islamic Development Bank - 2003
4. USD 100 million by Tabreed Financing Corp (UAE) - 2004
5. USD 250 milllion Issue by the Kingdom of Bahrain through Bahrain
Monetary Agency – 2004
6. USD 1000 million Issue by Govt. of Dubai – Nov 2004 – SCB acted as
a Joint Lead Manager.
Islamic Banking- Way Ahead
The current Islamic Banking movement
is a Grass Root Level Demand Driven
Phenomenon.
Its about time for the whole industry to
pursue for the Islamic Banking Industry
to reach the “Tipping Point”
The Tipping Point…..
•“Tipping Point” is that magic moment when ideas, trends and
social behaviors cross a threshold, tip and spread like wildfire.
•We are, as humans, heavily socialized to make a kind of rough
approximation between cause and effect.
•Consider for example the paper folding example- geometric
progression.
•As human beings we have a hard time with this kind of
progression, because the end result-the effect-seems far out of
proportion of the cause.
•We need to prepare ourselves for the possibility that sometimes
big changes follow from small events, and that sometimes these
changes can happen very quickly.
Mineral Water Industry Growth-
Pakistan
94 95 96 97 98 99 0
Volume
Lit
Mobile Phone Industry
Growth-Pakistan
0
50
100
150
200
250
90 91 92 93 94 95 96 97 98 99 0
Number
of
Connecti
ons
To reach the Tipping Point for Islamic
Finance
We need to understand :
•What Motivates a customer towards Islamic
Banking? (This includes both new & existing users
of banking services)
•What is modern day Marketing?
•Who is Islamic Banking’s Customer?
•How to market Islamic Banking to make it reach to
the tipping point .
What Motivates an
individual?
1.Fear
2.Reward (in Cash or Kind))
Universal Motivating Factors:
“The interest which you give to increase the wealth of people, will have no
increase with Allah: But that which you lay out for charity, seeking favor
of Allah (He will increase): it is these who will get a recompense
multiplied.”
Ar Rum 39 (First Revelation)
Motivating Factor- Reward
“O you who believe, Fear Allah and give up what remains of your demand for
Interest, if you are indeed a believer. If you do not, then you are warned of the
declaration of war from Allah and His Messenger; But if you turn back you shall
have your principal: Deal not unjustly and you shall not be dealt with unjustly.”
Al Baqarah 278 - 279 (Fourth Revelation)
Motivating Factor- Fear
From Hazrat Abu Hurayrah (RA):
The Prophet, peace be on him, said:
"Riba has seventy segments, the least
serious being equivalent to a man
committing adultery with his own
mother." (Ibn Majah)
Motivating Factor- Fear
1. Product Innovation- Ensuring innovative Shariah compliant products.
Starts movement towards Micro financing and Musharaka transactions-
(Venture Capital Model)
2. Service Differentiation (Trained staff providing top quality service)
3. Service Quality (Top quality service to ensure that service standards of IB
Institutions is at par with conventional)
4. Aggressive Marketing to ensure that Islamic Banking reaches the tipping
point in quickest possible time.
The Way Forward………
 TO ENSURE CONSTANT SUPPLY OF MANPOWER TRAINED IN BOTH
BANKING AND THE SHARΑAH
 ESTABLISHMENT OF ISLAMIC MONEY MARKET
 TAX REFORMS FOR ENSURE LEVEL PLAYING FIELD
 RESOLVE FIQHI DISPUTES AND ADDRESS TO SHORTAGE OF RECOGNIZED
& QUALIFIED SHARIAH SCHOLARS
 STANDARDIZATION OF TERMS AND MODES AT A FASTER PACE
 RESEARCH AND DEVELOPMENT INSTITUTIONSTO INTRODUCE INNOVATIVE
PRODUCTS
For that to happen, all of us need to make Sincere Efforts with Patience
and Persistence
Islamic Banking- Way Ahead
KEY ACTION POINTS:
Thank You!

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Islamic Banking Current Scenario & Way ahead Presentation

  • 1. Islamic Banking Current Scenario & Way ahead Presentation by Muhammad Imran Head of Islamic Banking Standard Chartered Bank Nov.17, 2005
  • 2. Islamic Banking Is this about Islam? Or about Banking? What has Religion got to do with Economics & Banking?
  • 3.  What is economics? “To utilize the limited resources in a way that maximum needs and wants are met to ensure the well being of all members of the human society.”  The four basic economic problems: 1. Determination of Priorities 2. Allocation of Resources (Land, Labor, Capital, Entrepreneur) 3. Distribution of Income 4. Development We will compare how Capitalism, Socialism and Islamic Economic system addresses to these problems. Economics & Its Problems
  • 4. Comparison of Capitalism & Socialism Capitalism Socialism 1. Determination of Priorities 2. Allocation of Resources 3. Development • Every individual has unconditional & absolute right to participate in any business to maximize profits • Concept of Selfish Interest • Supply & Demand will determine the priorities. • No individual has the right to participate in any business independently. • State will determine the priorities as per the overall planning. • Concept of collective interest. • Market forces will decide where to invest resources • Govt. will decide where to allocate resources • Market forces will decide • Govt. will decide
  • 5. Comparison of Capitalism & Socialism Capitalism Socialism Right to Wealth • Land - Rent • Labor - Wages • Capital- Interest • Entrepreneur- Profits 4. Distribution of Income • Land – Rent fixed by Govt. • Labor – Wages fixed by Govt. Right to wealth is with the factors of production only. Right to wealth is with the Govt. which then distributes it among the factors of production.
  • 6. Flaws of Capitalism  No bindings/ restrictions while maximizing profits.  Blindly follows market forces that creates exploitation of labor & poor people.  No moral value limitations.  Monopolies & Cartels are created that exploit the society as a whole.  Government & Industrialists join hands for mutual benefit and make laws that exploit common people.  Imbalance in the distribution of income due to which concentration of wealth takes place.
  • 7. Flaws of Socialism  The other extreme of not even giving the natural freedom.  Perfect Planning is assumed to be the “Cure of all ills”.  Governments are assumed to be angels which can’t commit a deliberate mistake.  Cannot work without forceful dictatorship.  Creates overall inefficiency in the society. There is no incentive to work efficiently as there is no individual profit motive.
  • 8. What is Islamic Economics  Islam is a Deen which gives guidance for Aqaid, Ibadat, Mu’ashrat, Akhlaq & Mu’amalat.  Hidaya- famous nook of Fiqh has 70 % portion dedicated to Mu’amalat.  The humanitarian goal of achieving the well being of all members of the human family cannot be attained by concentrating primarily on the material constituents of well- being and making maximization of wealth as the main objective of Economics.  It is also necessary to raise the spiritual content of well being and reduce all the symptoms of anomie, like family disintegration, heavy interest based debt payments, conflict and tensions, crime, alcoholism, drug addiction, and mental illness, all indicating lack of inner happiness and contentment in the life of individuals.  Capitalism as well as Socialism have both failed to lead mankind to such an overall well-being. It is therefore, necessary to lay down the contours of a new system which could help optimize human well-being as per the divine guidelines of Allah.
  • 9. Islamic Economic System  Islam accepts the market forces of supply and demand- Reference of Holy Quran.  In fact Islam gave the concept of Market Forces 1300 years before Keynes presented the modern model of Economics in 1927.  Islam accepts the right to private property and accepts the right to maximize profits. But these rights are not unbridled and un conditional rather there are some prohibitions.
  • 10. Islamic Economic System- The prohibitions & considerations 1. Divine Prohibitions: Islam has prohibited some economic activities that are not allowed at any time at any place.( Interest, Gambling, Hoarding etc.) 2. Govt. Restrictions: Islam allows Govt. to intervene where it feels appropriate , but these restrictions are temporary as per the need of the time. 3. Moral Considerations & Restrictions (ROIA) Life in this world is temporary and there is an eternal life after words. One has to make this worldly life a way to get the maximum benefit in the life hereafter.
  • 11. Factors of Production of Production in Islamic Economic System  In Islam there are three factors of production 1.Land 2. Labor 3. Entrepreneur  Entrepreneur & Capital is a single factor of production.  As interest is Haram hence the risk of profit & loss is with the capital.  Anyone investing capital must also take the risk of the investment.
  • 12. Right to Wealth in Islam  In both Capitalism & Socialism the right to wealth is with those factors of production only that have taken part directly in the process of production.  Islam believes that the original ownership of everything is with Allah and without Allah’s “Taufeeq” no factor of production can produce anything. ALLAH Factors of Production Secondary owners of wealth Zakat, Ushr Wirasat, Sadqaat Qurbani,Khiraj
  • 13. Summary of The Comparison  Capitalism gives unbridled and un-conditional right to profit motive and private ownership, while socialism goes to other extreme by assuming that perfect planning by the govt. is the cure of all ills.  Islam gives a balance view among the two extremes by recognizing the right to private ownership, market forces and profit motive but under the restrictions of: 1. Divine restrictions 2. Govt. restrictions 3. Moral considerations  Islam ensures equitable distribution of wealth through the concept of primary and secondary ownership.  All these factors combined have a cumulative effect of achieving the well being of all members of the human society.
  • 14.  What is Islamic Banking? “Islamic Banking is interest free Asset Backed banking governed by the principles of Islamic Shariah”  Islamic Banking distinguishes from Conventional Banking in four basic principles: 1. Interest Free Transactions. 2. Risk Sharing 3. Asset & Service Backing 4. Contractual Certainty( Gharar free contracts) Islamic Banking Video Islamic Banking-the concept
  • 16. Islamic Banking Pakistan 5 years Scenario Year 2001 •Meezan Bank •Al Baraka •Meezan Bank •Al Baraka •MCB •Alfalah •SCB •Bank AlHabib •Habib AG Zur. •Metropolitan •Bank of Khyber •Soneri Bank 2002 2003 •Meezan Bank •Al Baraka •MCB •Meezan Bank •Al Baraka •MCB •Alfalah 2 10 2005 •Meezan Bank •Al Baraka •MCB •Alfalah •SCB •Bank AlHabib •Habib AG Zur. •Metropolitan •Bank of Khyber •Soneri Bank •HBL --------------- Coming Up 2006: •Bank Islami •DIB •Emirates Int’l •First Dawood •NBP •ABN AMRO •Askari •PICCIC 2004 11 4 3  In 2001, the industry comprised of just two players Currently there are 2 full fledged Islamic Banks, while 9 Banks have set up Islamic Banking Divisions (IBDs) In 2006, the industry is expected to be comprised of 6 Full fledged Islamic Banks and 12 Banks with IBDs
  • 17. Islamic products and services offered by 250+ Financial Institutions around the world Note: Figure indicates number of Islamic FIs in the country. Only some of the key FIs are shown for each country United States: 20 - Al Manzil Financial Services - American Finance House - Failaka Investments - HSBC - Ameen Housing Cooperative Germany: 3 - Bank Sepah - Commerz Bank - Deutsche Bank Switzerland: 6 UK: 26 (primarily branches of Gulf and global banks) - HSBC Amanah Finance - Al Baraka International Ltd - Takafol UK Ltd - The Halal Mutual Investment Company - J Aron & Co Ltd (Goldman Sachs) Bahrain: 26 - Bahrain Islamic Bank - Al Baraka - ABC Islamic Bank - CitiIslamic Investment Bank Malaysia: 49 2 - Pure Islamic Banks (Bank Islam, Bank Muamalat) Rest - conventional banks Saudi Arabia: 10 - Al Rajhi - SAMBA - Saudi Hollandi - Riyadh Bank UAE: 9 - Dubai Islamic Bank - Abu Dhabi Islamic Bank - HSBC Amanah Qatar: 4 - Qatar Islamic Bank - Qatar International Islamic Kuwait: 5 - Kuwait Finance House Iran: 8 Egypt: 7 - Alwatany Bank of Egypt - Egyptian Saudi Finance Indonesia: 4 Sudan: 9 Pakistan: 5 India: 3 Bangladesh: 3 Turkey: 7 - Faisal Finance Institution - Ihlas Finance House Yemen: 5
  • 18.  The size of Islamic Financial Industry has reached US$ 250 Bln. and its growing annually @ 15% per anum.  42 countries have Islamic Banking Institutions  27 Muslim countries including Bahrain, UAE, Saudi Arabia, Malaysia, Brunei and Pakistan  15 non-Muslim countries including USA, UK, Canada, Switzerland, South Africa and Australia International Overview
  • 19. Leading foreign Banks have opened Islamic Banking windows or subsidiaries such as: • Standard Chartered Bank • Citibank • HSBC • ABN AMRO • UBS International Overview
  • 20.  In Feb 1999, Dow Jones introduced the Dow Jones Islamic Market Index (DJIM) of 600 companies world wide whose business complies with Islamic Shariah laws  At present there are more than 105 Islamic Funds operational through out the world with a total fund base of over USD 3.50 billion International Overview
  • 21.  Governments of Bahrain ,Malaysia and now Pakistan have issued Islamic Bonds (Sukuk) in order to facilitate Islamic Banks in managing their liquidity.  Issuance of these bonds has also paved the way for Shariah compliant Government borrowings. International Overview
  • 22.  Institutions like Accounting and Auditing Organization for Islamic Financial Institutions (AAOIFI) and Islamic Finance Services Board (IFSB) have been formed.  These institutions are playing a key role in setting up and standardizing Shariah , Financial and Accounting standards for Islamic Financial Institutions.  Due to these collective efforts Islamic banking is now recognized by IMF, World Bank and Basel Committee. International Overview
  • 23. Structure of Key Islamic Products
  • 24.  Murabaha refers to contracts in which a financial institution purchases goods upon the request of a client, who makes deferred payments that cover costs and agreed-upon profit margin for the financial institution.  Murabaha is the most widely used instrument of Islamic finance with 75% of total contracts being Murabaha based. It is widely used in consumer and corporate financing as well as in subordinated or term financing. The responsibilities of the various parties to a Murabaha contract are set out below:  The bank buys asset from the vendor at P  The customer then buys the asset from the bank at marked up price (P+X), which is payable on a deferred payment basis.  The period covering the deferred payment is effectively the period of financing  The title to the assets is transferred to the customer at the time of the customer’s purchase of the asset. Vendor Customer Islamic Bank Payment of marked up price (P+X) Payment of purchase price (p) Transfer of titles to bank Transfer of title to customer Murabaha- Concepts
  • 25. Mudaraba- Concepts  A Mudaraba is a contract between investors and a financial institution that, acting as a silent partner, invests deposits in a commercial activity that earns each partner an agreed upon portion of the profits of the profits venture. The responsibilities of various the parties to a Mudaraba are  A (investor) provides B (Mudarib) all the capital to fund a specific enterprise.  B does not contribute capital but contributes management expertise (or entrepreneurship)  B is responsible for the day-to-day management of the enterprise and is entitled to deduct its management fee (Mudarib fee) from profits.  The Mudarib fee could be a fixed fee (to cover management expenses) and a percentage of the profits or a combination of the two.  The balance of the profit of the enterprise is payable to A  If the enterprise makes a loss, A (as the investor) has to bear all the losses unless the loss has resulted from negligence on the part of B (the Mudarib) Investment /trading activity Islamic Bank Entrepreneur (mudarib) Periodic profits and return of capital customer Payment of mudarabah capital customer
  • 26.  A Musharaka is a partnership between parties in which one or several parties supply working capital. Notes of participation sold to investors provide the funding. Musharaka is widely used for joint venture investments. The responsibilities of the various parties to a Musharaka contract are given below:  Both the investor and the enterprise contribute towards the capital  Under a “diminishing” Musharaka, the enterprise buys out the investor’s share over a period of time.  The enterprise and the investor share in the profits according to the agreed proportions, which may be different from the proportions of capital contributed. Any losses of the enterprise will be borne by the investor and the enterprise according to their contributions Islamic Bank Partner (customer) Musharaka 60% ownership 40% ownership Musharaka- Concepts
  • 27.  An Ijara is a lease purchase contract in which a financial institution purchases capital equipment or property and leases it to an enterprise. The financial institution may either rent the equipment or receive a share of the profits earned through its use.  Ijara wa-Iqtina is the same as Ijara except that the lessees can acquire ownership of the asset by making installment payments. The responsibilities of the various parties to an Ijara wa-Iqtina contract are given below:  The bank buys the assets from the vendor  The bank then leases the asset to the customer  The bank collects periodic rentals  The title of the asset remains with the bank under an operating Ijara.  Title passes to the customer under an Ijara muntahia bittamleek, either gradually over the period of the contract or at the end. Islamic Bank Vendor Customer (lessee) Transfer of title to the bank Assets leased to the customer- title does (not) pass at the end of the lease term Payment of purchase price Ijarah installments Ijara- Concepts
  • 28. There are two types of Shirkah: 1. Shirkat-ul-Milk Joint ownership of two or more persons in a particular property 2. Shirkat-ul-Aqd A partnership affected by mutual contract. It can also be translated as a joint commercial enterprise Musharakah
  • 29. Diminishing Musharaka  Bank enters into a participation (Shirkat-ul-Milk) arrangement with the Customer  Bank provides the larger share of the purchase price of the vehicle  Bank rents out its share of the vehicle to the customer  The customer makes regular scheduled investments to increase its equity in the property over the life of the transaction  The monthly/ periodic payments are structured to reflect a portion of rent and a portion of purchase price i.e. EMI = Rent + Purchase of Share  Once the customer has purchased all of the Bank’s share the ownership will transfer to the customer with free and clear title to the vehicle
  • 32. Product Comparison • Joint ownership of asset • Bank earns through rent • Ownership risk shared • Full/Partial prepayment allowed with profit for sale of Bank’s share • Title with the customer • Any financing amount • Rental arrangement • Bank earns through rent • Ownership risk with the Bank • Only Full prepayment allowed • Title with the Bank • Financing amount up to 1 million Diminishing Musharakah Ijarah
  • 33.  Istisna’a is primarily a deferred delivery sale contract similar to Salam. It is similar to conventional work in progress financing for capital project. In practice it is usually used for construction and trade finance such as pre-shipment export finance. Financier Manufacturer Entrepreneur Delivery of asset at future date Delivery of asset at future date Payment of purchase price on delivery Progress payment of purchase price Concepts
  • 34. Short/ Medium Term Financing (Murabaha) Supplier Customer Bank 3. Customer buys the goods as Bank’s agent. Cost: $100 1. Execution of Murabaha Agreement. 4. Disbursement of the Facility. Facility Amount: $100 2. Bank appoints the Customer as its agent to buy the goods. 5. Under the Murabaha Agreement the Bank will immediately sell the goods at $110 (cost plus a profit margin) payable on a deferred payment terms. Sale Features: • Fixed rate financing only Uses: • Inventory Financing •Financing commodity purchase Tenor: •12-18 months Risks: •Credit Risk
  • 35. Finance Lease (Ijara) Manufacturer / Supplier Customer Bank 1. Customer buys the property as Bank’s agent. Cost: $100 2. Execution of Ijara Agreement 3. Disbursement of the Facility. Facility Amount: $100 4. Bank appoints the Customer as its agent to buy the property. 5. Under the Ijara Agreement the Bank will lease the property immediately. Lease Features: • Floating rate financing possible •Can be used for refinancing Uses: • Financing Capital Expenditure •Financing Big Ticket items like Aircraft, VLCCs, LNG Carriers, etc. Tenor: •5-7 years Risks: •Credit Risk •Performance Risk •Cost Overruns •Ownership Risk
  • 36. Ijara is used to raise finance against an asset  XYZ Real Estate Deal : Sale/leaseback of existing properties to fund construction of new buildings  Client sells its existing asset to the Bank. The sale can be a beneficial transfer of ownership or actual legal title transfer  Bank leases the asset back to the client for the period of financing, against periodic lease rentals.  The rentals will comprise of only profit (during grace period) and both profit and principal payments (during amortisation period). The profit can be linked to a floating rate index, such as Libor.  At the end of the term, Bank transfers the asset back to the client either as a gift or at a nominal sum or at the termination price (if bullet repayment).  During the lease period, Bank is liable for insurance and major maintenance as owner of the property. However, Bank can appoint the client as its agent to perform these tasks Ijara…illustrative deal
  • 37. Sukuk Issuance - Key considerations Sukuks are tradeable Islamic instruments, equivalent to conventional bonds.  Provides access to the huge and growing Islamic liquidity pool, in addition to the conventional investor base  Structure now well established with five sovereign/supranational issues ; initial R&D phase over  Wide Shariah acceptability achieved for the underlying Ijarah structure - both in the GCC and the Malaysian markets  Conventional investors in Europe and Far East now quite comfortable with Sukuks - as they consider it on par with conventional bond issuance.  Demand pull from Islamic banks - Shariah scholars prefer Sukuk investments for liquidity management over Commodity Murabaha  Pricing is on par with conventional bond issuance with similar terms  Secondary market liquidity will develop gradually, as issuance picks up and investors get the option to trade in their existing ‘hold’ positions for new issues
  • 38. The Islamic Sukuk Market  The total worldwide Muslim population is 1.3 billion.  Sharia-compliant assets, growing over the last 20 years, represent an estimated US$ 250 billion.  Assets are held by over 200 Islamic Financial Institutions.  Estimated annual growth for Islamic Assets is estimated at 15%.  Asia has taken the lead in the Sukuk market. Only in Malaysia, the value of outstanding Islamic corporate bonds stands at nearly US$ 16 billion, representing the interest in Shariah-compliant products.  The world stock of sovereign Islamic bonds raised is approximately US$ 3 billion.  To-date Sovereign / Supra-Sovereign issuance in the Islamic Sukuk Market has been from - Malaysia, Qatar, Islamic Development Bank, Bahrain, the German State of Saxony and Govt. of Dubai (Oct 2004). The issuance of international Sukuk is one of the most significant mechanisms for raising finance in the international capital markets through Islamically acceptable structures.
  • 39. The Demand for Sukuks Middle East  Total Investable Wealth in the Gulf region is estimated at US$ 1.5 Trillion.  Majority of Islamic Institutions and Islamic Assets are in the Gulf. Increasing Demand from Conventional Investors More and more of European and Asian mutual funds, pension managers, financial institutions and central banks are holding Sukuk paper as part of their diversification strategy.  Bulk of the US$ 400 million IDB Sukuk was taken up by conventional investors.  The State of Qatar's Global Sukuk issue was equally split between conventional and Islamic investors, at 52% and 48% respectively. Geographically, approximately 70% of the State of Qatar and IDB Sukuks were placed in the Middle East, with the remaining being equally distributed into Asia and Europe. Anchor demand has traditionally come from the Middle East with healthy distribution into OIC countries, Asia and Europe. (Source: BMA)
  • 40. What are Sukuks ? A Sukuk represents:  An undivided proportionate ownership interest in an asset  The corresponding right to the Islamically acceptable income streams generated by the asset.  These current income streams are established and translated into tradable securities  Trust Notes or Certificates similar to Equipment Trust Certificates (ETCs) and Unit Trusts  Issuer creates a trust over the leased Assets  Trustee issues Sukuk to the Primary Subscribers (the beneficiaries under the trust) in the Primary Market  Sukuk Holders have pro-rata undivided beneficial ownership of the leased Assets / Portfolio held in trust - As beneficial owners the Sukuk Holders are entitled to the income streams from the Leased Assets / Portfolio  The Primary Subscribers can resell the Sukuk in the Secondary Market  The Secondary Buyer will be the new pro-rata beneficial owner of the Leased Assets held in trust
  • 41. CLIENT SPV Primary Subscribers Secondary Market 2. SPV Leases back the Assets Assets 3. SPV Creates a trust in respect of the “Assets” and issues Sukuk aI-Ijara to raise $100M 1. CLIENT sells certain assets that it owns (“Assets”) for $100M. Type of Assets: Real Property, Moveable Property, Equipment, and other tangible assets. The Sukuk can be listed, rated and will be approved by SCB Shariah Board trading Sukuk Typical Issuance Structure - Sale and Leaseback
  • 42. CLIENT SPV 2. SPV pays $100m as consideration for the Assets 3. CLIENT pays lease rentals. Lease Rentals could be Fixed or Floating, Amortising of non-Amortising (if non- Amortising, the last lease rental will include a bullet repayment of $100m) 4. SPV distributes the lease rentals to Sukuk Holders (as coupon payments) 1. Subscribers pay $100m to the SPV for the Sukuk Primary Subscribers Sukuk Flow of Funds - Acquisition & Rentals
  • 43. CLIENT SPV Sukuk Holders 2. CLIENT will pay a nominal amount. Result: ownership of Assets revert back to CLIENT Sukuk 1. SPV will “Put” the Assets to CLIENT Assets Flow of Funds - Repayment & Maturity
  • 44. Typical Sukuk Structure Most Sukuk transactions to date have used the Sale & Lease back structure  Assets free from encumberances.  Directly owned by the Seller or one of its entities.  Establish a bankruptcy remote special purpose vehicle (“SPV”)  Sale of assets to SPV based on current market value  SPV issues Sukuk for the same principal amount  Receives subscription money from Sukuk holders  Pays purchase price to the Seller.  Lease-back of assets by SPV to the Seller (or another related entity)  Lessee pays periodic rentals to SPV - matching the repayment profile and tenor of Sukuk  SPV declares trust in the favor of Sukuk holders (“Trust Deed”)  Sukuks issued as a Reg S/144 A offering  Each Sukuk represents right to receive periodic profit distribution from Sukuk Pool  Appoint a co-trustee  To enforce the rights of Sukuk holders  The Lessee will undertake to purchase the assets of the Sukuk Pool upon Maturity, at the Termination Price. Identification of assets forming the Sukuk Pool Sale of the Sukuk pool to an SPV Leaseback of Sukuk Pool to an entity owned by Qatar Issuance of the Sukuk securities Redemption of Sukuk securities Step 1: Step 2: Step 3: Step 4: Step 5:
  • 45.  The client (i.e. the Seller) will sell the Assets (e.g. land parcels) to an SPV pursuant to a Purchase Agreement.  The SPV will issue Trust Certificates to the investors.  The Trust Certificates represent an undivided beneficial ownership of the Trust Assets, primarily consisting of beneficial title to the Assets and rights under the related lease agreements.  Pursuant to a Declaration of Trust, the SPV will declare itself trustee to the Certificate holders for the Trust Assets.  Proceeds received by the SPV from the sale of the Trust Certificates will be used to settle the purchase of the Assets from the Seller.  The SPV will lease the Assets to GOP under a Master Ijarah Agreement for a period equal to the tenor of the Sukuk Issue. At the end of the tenor, GOP will acquire the Assets from the SPV and the lease will terminate.  Under the terms of the Master Ijarah Agreement, the SPV and GOP will execute consecutive, semi-annual leases to lease the Assets to GOP for the entire tenor.  The rental payments under the semi-annual leases to be entered into will be calculated based on LIBOR/Swap rate + [% p.a.], and GOP will be obligated to pay the Lease Rentals on the agreed lease rental payment dates;  The SPV will distribute the rental payments received from GOP to the Certificate Holders.  The SPV will execute a Sale Undertaking Deed, while GOP will execute a Purchase Undertaking Deed.  Under the Sale Undertaking Deed, the SPV will undertake to sell to GOP the title to the Assets to unwind the whole transaction if GOP is required to pay additional costs for the transaction as a result of a change in law.  Under the Purchase Undertaking Deed, GOP will undertake to purchase from the SPV the title to the Assets upon occurrence of any events of default or upon maturity of the lease agreement. Transaction Process
  • 46. SPV Creation Valuation Insurance  SPV can either be Incorporated in foreign tax neutral jurisdiction and owned by a charitable trust, or Incorporated in the country of the borrower, owned by  Charitable Trust  Majority owned by the borrower, with a golden share controlled by a Trustee.  Fully owned by the borrower, however, effective control vests with the the Trustee/ Manager to protect Sukuk holders interests.  Independent market valuation of the Asset will be required.  Self insurance no longer accepted by Shariah scholars.  Insurance solutions are available. Assets  Possible Assets  Developmental Land ; Ports / Airports ;Dams, hospitals or other public buildings  Real estate / plant & machinery Summary of Issues to be considered Stamp duties / Taxes  All stamp duties, taxes etc related to the sale / purchase of Assets will need to be considered (generally waived by sovereign issuers).
  • 47. Variant - Structure for an Islamic FI Irrevocable and Unconditional Guarantee Assets Proceeds Assets Proceeds Investors Declaration of Trust / Agency Declaration in favour of the investors through appropriate Trustee / Agent Proceeds ICD Sukuk Certificate Issuer SPV Intermediary Company Investors Islamic FI Asset Pool should consist of at least 51% tradeable contracts, such as Ijara.
  • 48. Development of the Sukuk Market Issues launched in the international market include: 1. USD 600 million Trust Certificates by Malaysia Global Sukuk Inc - 2002 2. USD 700 million Qatar Global Sukuk QSC - 2003 3. USD 400 million by the Islamic Development Bank - 2003 4. USD 100 million by Tabreed Financing Corp (UAE) - 2004 5. USD 250 milllion Issue by the Kingdom of Bahrain through Bahrain Monetary Agency – 2004 6. USD 1000 million Issue by Govt. of Dubai – Nov 2004 – SCB acted as a Joint Lead Manager.
  • 50. The current Islamic Banking movement is a Grass Root Level Demand Driven Phenomenon. Its about time for the whole industry to pursue for the Islamic Banking Industry to reach the “Tipping Point”
  • 51. The Tipping Point….. •“Tipping Point” is that magic moment when ideas, trends and social behaviors cross a threshold, tip and spread like wildfire. •We are, as humans, heavily socialized to make a kind of rough approximation between cause and effect. •Consider for example the paper folding example- geometric progression. •As human beings we have a hard time with this kind of progression, because the end result-the effect-seems far out of proportion of the cause. •We need to prepare ourselves for the possibility that sometimes big changes follow from small events, and that sometimes these changes can happen very quickly.
  • 52. Mineral Water Industry Growth- Pakistan 94 95 96 97 98 99 0 Volume Lit
  • 53. Mobile Phone Industry Growth-Pakistan 0 50 100 150 200 250 90 91 92 93 94 95 96 97 98 99 0 Number of Connecti ons
  • 54. To reach the Tipping Point for Islamic Finance We need to understand : •What Motivates a customer towards Islamic Banking? (This includes both new & existing users of banking services) •What is modern day Marketing? •Who is Islamic Banking’s Customer? •How to market Islamic Banking to make it reach to the tipping point .
  • 56. 1.Fear 2.Reward (in Cash or Kind)) Universal Motivating Factors:
  • 57. “The interest which you give to increase the wealth of people, will have no increase with Allah: But that which you lay out for charity, seeking favor of Allah (He will increase): it is these who will get a recompense multiplied.” Ar Rum 39 (First Revelation) Motivating Factor- Reward
  • 58. “O you who believe, Fear Allah and give up what remains of your demand for Interest, if you are indeed a believer. If you do not, then you are warned of the declaration of war from Allah and His Messenger; But if you turn back you shall have your principal: Deal not unjustly and you shall not be dealt with unjustly.” Al Baqarah 278 - 279 (Fourth Revelation) Motivating Factor- Fear
  • 59. From Hazrat Abu Hurayrah (RA): The Prophet, peace be on him, said: "Riba has seventy segments, the least serious being equivalent to a man committing adultery with his own mother." (Ibn Majah) Motivating Factor- Fear
  • 60. 1. Product Innovation- Ensuring innovative Shariah compliant products. Starts movement towards Micro financing and Musharaka transactions- (Venture Capital Model) 2. Service Differentiation (Trained staff providing top quality service) 3. Service Quality (Top quality service to ensure that service standards of IB Institutions is at par with conventional) 4. Aggressive Marketing to ensure that Islamic Banking reaches the tipping point in quickest possible time. The Way Forward………
  • 61.  TO ENSURE CONSTANT SUPPLY OF MANPOWER TRAINED IN BOTH BANKING AND THE SHARΑAH  ESTABLISHMENT OF ISLAMIC MONEY MARKET  TAX REFORMS FOR ENSURE LEVEL PLAYING FIELD  RESOLVE FIQHI DISPUTES AND ADDRESS TO SHORTAGE OF RECOGNIZED & QUALIFIED SHARIAH SCHOLARS  STANDARDIZATION OF TERMS AND MODES AT A FASTER PACE  RESEARCH AND DEVELOPMENT INSTITUTIONSTO INTRODUCE INNOVATIVE PRODUCTS For that to happen, all of us need to make Sincere Efforts with Patience and Persistence Islamic Banking- Way Ahead KEY ACTION POINTS:

Editor's Notes

  1. TYPES OF MUSHARAKA Peramanent Musharaka A form of equity participation in which the Bank invests in partnership with the customer, and continues to receive its share of the profits as long as the Musharaka continues. Diminishing Musharaka A long-term financing in which the Bank’s share in equity is diminished each year through the repayment of the equity, and it gets periodically its share of the profits based on the reduced equity which remained invested during the period. Diminishing Musharaka Is a type of working capital financing or seasonal financing on a single transaction basis. The Bank invests for a short specified period, usually less than a year, and gets its share of the profits, as well as its investment, at the end of the agreed period. Temporary Musharaka may be renewed periodically.
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  3. TYPES OF MUSHARAKA Peramanent Musharaka A form of equity participation in which the Bank invests in partnership with the customer, and continues to receive its share of the profits as long as the Musharaka continues. Diminishing Musharaka A long-term financing in which the Bank’s share in equity is diminished each year through the repayment of the equity, and it gets periodically its share of the profits based on the reduced equity which remained invested during the period. Diminishing Musharaka Is a type of working capital financing or seasonal financing on a single transaction basis. The Bank invests for a short specified period, usually less than a year, and gets its share of the profits, as well as its investment, at the end of the agreed period. Temporary Musharaka may be renewed periodically.