Executive Summary:
This circular from the Reserve Bank of India addresses credit information reporting for Self Help Group (SHG) members by Primary Urban Cooperative Banks and State Central Cooperative Banks. It outlines a phased implementation approach, beginning July 1, 2016, for collecting and reporting SHG member data to Credit Information Companies (CICs), with a second phase starting July 1, 2017. The circular details the structure of credit information to be collected and reported and instructs banks to update their systems accordingly.
Key Points / Main Content:
Credit Information Structure:
* Banks must collect information from individual SHG members based on specified tables (Tables 1 and 2 in the Annex) and report it to CICs (Table 3 in the Annex).
* Table 1 applies to members where the loan exceeds Rs. 30,000.
* Table 2 applies to members where the loan is up to Rs. 30,000.
* The implementation will be in two phases, starting July 1, 2016 and July 1, 2017, with increased data collection depth in Phase II (details in Tables 1 and 2).
* Reporting is restricted to members of SHGs taking bank loans exceeding Rs. 1,00,000.
* Non-credit information must be reported for all SHG members when the SHG applies for a loan, regardless of loan amount.
Implementation and Operations:
* Banks must update systems to collect and report information from July 1, 2016 (Phase I) and July 1, 2017 (Phase II).
* Data collection and reporting can be done internally or outsourced, adhering to RBI's outsourcing guidelines. Banks remain responsible for data accuracy.
* Banks should monitor NPA levels in the SHG segment and collect detailed information from SHG members availing of loans exceeding Rs. 20,000 if the gross NPA exceeds 10% or is higher than the total gross NPA of the bank by 5 percentage points.
* Non-adherence to instructions by Urban Cooperative Banks may result in exclusion of non-compliant SHG loan accounts from Priority Sector Loan (PSL) targets.
* The circular does not cover inter-loaning among SHG members initially.
* Extending the credit reporting system to the monitoring of repayment and recovery of individual loans is not envisaged initially.
* Banks are encouraged to offer Small Accounts/Basic Savings Bank Deposit Accounts to SHG members but cannot make it a precondition for opening the Savings Account of the SHG.
* Data requirements specified should not be a precondition for extending loans to SHGs.
* Banks should develop policies for dealing with credit applications from SHG members/SHGs with reported defaults, ensuring loans are not denied solely based on defaults.
Specific Instructions to CICs:
* CICs must update systems to implement the directions according to the specified timelines.
* CICs must formulate policies to share SHG/member credit information in aggregate with government agencies, NABARD, banks, and MFIs for credit planning and research.
Impact Analysis
Primary Urban Cooperative Banks and State Central Cooperative Banks:
* Impact: Required to collect and report credit information on SHG members, update systems, and monitor NPA levels in the SHG segment. Potential impact on PSL targets for non-compliance.
* Action Required: Update systems and procedures for data collection and reporting, train staff, and monitor SHG loan portfolios.
Credit Information Companies (CICs):
* Impact: Required to modify systems to accommodate SHG member data and formulate policies for sharing aggregated data with relevant stakeholders.
* Action Required: Update systems, develop data-sharing policies, and ensure compliance with data privacy regulations.
Self Help Groups (SHGs) and SHG Members:
* Impact: May be required to provide more detailed information to banks.
* Action Required: Cooperate with banks in providing necessary information and maintain proper records of inter-loaning activities.
NABARD, Government Agencies, and MFIs:
* Impact: Access to aggregated SHG credit information for credit planning and research purposes.
* Action Required: Utilize the shared data for informed decision-making and policy formulation.
Key Entities Referenced
Reserve Bank of India: The central bank of India, also referred to as RBI, which issued the circular.
Primary Urban Cooperative Banks: Addressees of the circular, instructed to report credit information on SHG members.
State Central Cooperative Banks: Addressees of the circular, instructed to report credit information on SHG members.
Self Help Group: An entity referred to as SHG, the members of which are the subject of the credit information reporting requirements.
NABARD: National Bank for Agriculture and Rural Development, an organization that was part of the working group.
Credit Information Companies: Organizations referred to as CICs, that will receive and process credit information about SHG members.
Credit Information Companies Regulations Act, 2005: The act under which credit information relating to individual SHG members shall be collected, reported and disseminated.
Mumbai, Maharashtra: Location of the Department of Cooperative Bank Regulation, Central Office of the Reserve Bank of India.
भारतीय �रज़व र् बक�
_____________________RESERVE BANK OF INDIA___________________
www.rbi.org.in
RBI/2015-16/409 Jyeshtha 5, 1938 (saka)
DCBR.BPD.Cir.No.17/16.74.000/2015-16 May 26, 2016
The Chief Executive Officers
All Primary (Urban) Co-operative Banks,
State / Central Co-operative Banks
Dear Sir/Madam
Credit information reporting in respect of Self Help Group (SHG) members
Please refer to the instructions contained in paragraph (v) of the Annex II/III to our
circulars UBD.CO.BPD.PCB.Cir.No.4/16.74.000/2014-15 and RPCD.RRB.RCB.
BC.No.13/03.05.33/2014-15 dated July 15, 2014 advising UCBs and StCBs/DCCBs
to report the member level data relating to the SHGs within six months from the date
of the circular.
2. A review of the implementation of the aforesaid directions by the Reserve Bank of
India (RBI) revealed that banks had not made a significant progress in this regard.
The banks also pointed out a number of challenges in implementation of these
directions and requested for greater clarity on their scope. Consequently, the RBI
constituted a working group with members from within RBI, NABARD, banks and
Credit Information Companies (CICs), to study the implementation challenges and
suggest measures to address them.
3. Underscoring the importance of credit information reporting in respect of the SHG
members for financial inclusion, credit decision of banks and Micro Finance
Institutions (MFIs) and credit quality of the SHG loan portfolios, the working group
has emphasised the need for putting in place the credit information reporting for
SHG members sooner than later. Nonetheless, the group has suggested following a
सहकार� बक� �व�नयमन �वभाग,क�द्र�य कायार्लय, सी-7 बांद्रा कुलार् कॉम्प्लेक्स ,पहल� और दसू र� मंिज़ल, बांद्रा (पूव)र्,
मुंबई- 400051 भारत .फोन: 022 –26578100/8300/8500/8700; ई मेल: cgmdcbrco@rbi.org.in
Department of Co-operative Bank Regulation, Central Office, C-7 Bandra Kurla Complex, 1st and 2nd Floor,
Bandra (East), Mumbai - 400051, India. Phone: 022 –26578100/8300/8500/8700; Email: cgmdcbrco@rbi.org.in
बक� �हन्द� म� पत्राचार का स्वागत करता है —
चेतावनी: भारतीय �रज़व र् बक� द्वारा ई-मेल, डाक, एसएमएस या फोन कॉल के ज�रये कोई भी व्यिक्तगत जानकार� जैसे बक� खात े का ब्यौरा, पासवड र्
आ�द नह�ं माँगा जाता है। यह धन रखने या देने का प्रस्ताव भी नह�ं करता है। ऐसे प्रस्ताव� का �कसी भी प्रकार से जवाब मत द�िजए।
Caution: RBI never sends mails, SMSs or makes calls asking for personal information like bank account details, passwords, etc. It never
keeps or offers funds to anyone. Please do not respond in any manner to such offers.phased approach to the implementation of the RBI direction so as to ensure that the
data quality is not compromised. This circular sets out the implementation
requirements in the first two phases.
II. Structure of credit information collection and reporting
4. The structure of the credit information in respect of SHG members to be collected
and reported by banks to the CICs is set out below.
1 Information to be collected by banks from individual SHG Table 1
members where the total amount of loan to be attributed
to or to be availed by the SHG member exceeds
Rs.30,000/-
2 Information to be collected by banks from individual SHG Table 2
members where the total amount of loan to be attributed
to or to be availed by the SHG member is upto
Rs.30,000/-
3 Information on all individual SHG members to be Table 3
reported by banks to CICs
4 Information on individual SHG members to be collected Table 4
by banks at the time of opening of new Savings Bank
Accounts of the SHG
5. The data tables are given in the Annex. As indicated above, banks shall collect
information from all SHG members in Tables 1 and 2 and report it to the CICs as set
out in Table 3. The tables have been designed based on the following
considerations:
(i) Some of the information (Item number 17 of Tables 1 and 2) is related to the
existing exposures of the SHG members including that of the SHG groups with
whom they might have been previously associated. This is intended to help banks
make informed credit decisions with regard to the SHG members. This information
may be collected by banks directly from the CICs based on lead information
provided by the SHG members. Hence, there would be no need for banks to include
this information in the dataset reported to the CICs as per Table 3.
- 2 -(ii) The information requirements will be implemented in two phases. The first phase
will commence from 1 July 2016 and last for one year. The depth of the credit-
related information to be collected would increase in Phase II to be implemented
from 1 July 2017. Additions/modifications to be effected during Phase II are
indicated in the last column of Tables 1 and 2.
(iii) The collection and reporting of credit information in respect of SHG members will
be restricted to the members of those SHGs that take bank loans exceeding Rs.
1,00,000/-. However, the members of all SHGs, regardless of the amount of group
loan, shall report the non-credit information to banks through the SHG Group at the
time when the SHG approaches the bank for a loan.
(iv) Subject to (iii) above, the credit information requirements for SHG members
having a share above Rs. 30,000 or more in the SHG loan is more detailed than that
in respect of those upto Rs. 30,000. The difference will be reduced, though not
totally eliminated, as some more details are added to the latter in Phase II.
(v) The non-credit information requirements have been designed both from the
perspective of identification of the individual borrowers and supplementing the
information requirements of banks, regulatory and government development
agencies for the purpose of evaluating the flow of credit to various sub-segments of
the SHG members and designing suitable credit penetration strategies keeping in
view the socio-economic profile of the sub-segments. The information shall be
reported by banks to the CICs in a manner that allows the CICs to identify all
members associated with a particular SHG and a particular person to be identified
with all SHGs with whom he/she is/was associated.
6. Banks shall put in place necessary systems and procedures including making
necessary changes to their system software so as to be able to begin collection of
the relevant information from the SHG members and reporting the required
information to the CICs from 1 July 2016 (Phase I) and 1 July 2017 (Phase II).
7. Banks have the option to collect and report the SHG member level data either
themselves or by outsourcing it to other entities. However, banks shall follow all
general instructions on outsourcing set out in DBR circular
No.BP.40/21.04.158/2006-07 dated November 3, 2006 as amended from time to
- 3 -time to the extent applicable and shall continue to be responsible for the correctness
of the data submitted by the outsourced agencies to the CICs. Banks must put in
place appropriate controls to ensure the correctness of the data submitted by the
entities to which it is outsourced.
8. Banks shall immediately start monitoring the NPA levels in the SHG segment on
an ongoing basis, if not being already done, and collect detailed information from
SHG members availing of loans exceeding a lower threshold of Rs. 20,000, if the
gross NPA in the SHG segment exceeds 10% or is higher than the total gross NPA
of the bank by 5 percentage points.
9. Non-adherence to the above instructions by Urban Cooperative Banks shall result
in exclusion of non-compliant SHG loan accounts from the loan portfolios eligible to
be reckoned for the purpose of complying with the Priority Sector Loan (PSL)
targets. The determination with regard to loans qualifying for PSL benefit would be
made at the end of each phase, based on a review of the compliance with the credit
and non-credit information requirements as applicable to that phase.
III. Other operational instructions
10. At this stage, it is envisaged to capture details of only the credit facilities availed
of by the SHG member from the banks and MFIs. Therefore, any information
relating to inter-loaning among the SHG members out of their own savings will not
be covered. However, in order to know the overall indebtedness of a SHG member
it may be necessary to know their exposures to the SHGs with regard to inter-
loaning as well. As part of the continued endeavour to improve the quality of
information of a SHG member, the need for capturing the inter-loaning would be
reviewed after stabilisation of Phase II.
11. Given significant challenges in monitoring and reporting the performance of
individual loans availed by the SHG members out of the amounts lent by banks to
the SHGs, it is also not envisaged to extend the credit reporting system to the
monitoring of repayment and recovery of these loans. However, this will also be
considered after Phase II has taken ground.
12. With a view to building up the adequate information base of the potential SHG
member borrowers, and expediting the process of collection and reporting of KYC
- 4 -compliant information relating to the members of the SHGs when the SHGs are
credit-linked, banks are encouraged to offer Small Accounts/ Basic Savings Bank
Deposit Account to the SHG members when an SHG approaches them for opening
its Savings Account. In cases where the SHG members agree to open such
accounts, the information in Table 4 may be collected and kept on record to be used
at the time when the SHG approaches the bank for a loan. However, it must not be
made a pre-condition for opening the Savings Account of the SHG.
13. None of the data requirements specified in this circular should be made a pre-
condition for extending loans to the SHGs, though banks must make sincere efforts
to comply with these requirements.
14. Banks may encourage the SHGs to keep written records of loans distributed to
their members out of the bank loan including the digitization scheme for SHGs of
NABARD, where applicable, and may consider introducing appropriate incentives in
this regard.
15. Banks shall develop appropriate policies to deal with applications for credit
facilities from members of SHGs/SHGs on whom default is reported by the CICs.
Care needs to be taken that the SHGs/individual members are not denied loans
merely because of such defaults and banks should appropriately evaluate the credit
history of the members themselves and take into account the economic viability of
their activity/ies and the Groups’ capacity to service the loan proposed to be taken
by considering their loan applications.
16. The credit information relating to individual SHG members shall be collected,
reported and disseminated as per the provisions of the Credit Information
Companies (Regulations) Act, 2005 and the extant RBI directions on credit
information reporting by banks and MFIs.
IV. Specific instructions to the CICs
17. The CICs shall make the necessary changes in their systems and procedures to
implement the above directions as per the timelines indicated above.
- 5 -18. CICs shall formulate appropriate policies with the approval of their Boards to
share the credit information relating to SHGs or SHG members, on an aggregate
basis with the Government agencies, NABARD, banks and MFIs for the purpose of
credit planning and research. In accordance with their board approved policies, the
CICs could also share the aggregate information with other parties for the purpose
of undertaking research that could potentially benefit the SHG segment. The
aggregate information shall be shared in a manner that is non-discriminatory and
respects the confidentiality of the individual SHG groups and the SHG members as
per the relevant laws of the country.
Yours faithfully
(Suma Varma)
Principal Chief General Manager
Encl: Annex
- 6 -