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Export Development Fund in The Banking Sector of Bangladesh: Status and Challenges

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Export Development Fund in the Banking Sector of Bangladesh: Status and Challenges

Antara Zareen1
Tofayel Ahmed2
Md. Morshed Anwar3

Abstract: Openness in trade and expansionary export policy help export sector of Bangladesh to
show a steady growth over the years. Export finance system of the country could play a significant
role in pursuance of Government’s export-led growth strategy. With this view in mind,
Government has introduced several financial incentives for increasing export of our country over
past several years. In addition, Bangladesh Bank (BB) has also undertaken various initiatives to
support export led economic growth including broadening the scope of Export Development Fund
(EDF). In order to make interest more competitive on foreign currency loans for Exporters, EDF
facility is introduced. The goal of this facility to support exporters trying to diversify into higher
value products. The demand for this fund is growing over the years. But growing demand of EDF
is also introducing some challenges. In this study, the utilization of EDF is trying to phase out with
analysis of regulatory framework and current status of EDF facility. Moreover some global
experiences are also analyzed to draw some diversified options for EDF. However, some future
potentials and operational challenges in handing EDF transactions are also emphasized in the
study.

1. Background
Exports of goods and services represent one of the most important sources of foreign exchange
income that ease the pressure on the balance of payments and create employment opportunities.
An export led growth strategy aims to provide producers with incentives to export their goods
through various economic and governmental policies. So export oriented development has been
the cornerstone of the economic policy of the Government of many countries. Now the main thrust
of many Governments is promoting private sector led export development in their foreign trade

1
Assistant Professor, Bangladesh Institute of Bank Management
2
Lecturer, Bangladesh Institute of Bank Management
3
FAVP, Export Import Bank of Bangladesh Limited
policy (World Bank, 2015). Many developing countries like Czech Republic, Malawi, Zambia, India,
Pakistan, Ghana4, Ruwanda etc. are considering different policy initiatives to fill up the gap of
export financing.

Openness in trade and expansionary trade policy help trade picture of Bangladesh to show a
competitive way over the years. After experimenting with domestic demand based import
substitution strategy for nearly two decades, the country finally opted for a more open market-
based economy where the private sector would take the lead role in the development of the
economy. The country achieved remarkable success in export expansion, mainly because of the remarkable
performance in RMG industry. The total merchandise export is increased 26.54 percent higher in July, 2017
compared to July 2016, according to EPB data. The importance of RMG in the country’s export basket has
increased steadily. From its humble beginning in the late seventies, the RMG sector now accounts for more
than three quarters of the total exports of the country (Sattar, 2015). To boost the export market,
exporters were encouraged through various measures and initiatives.

Export finance is one of the primary constraints inhibiting exports in many low-income developing
countries like Bangladesh. Inadequacies may result from the overall weakness of the financial
sector mainly in facing difficulties in assessing the creditworthiness of traders. Small firms bear
the brunt in obtaining access to trade credit similar to the difficulties they face in accessing other
parts of the financial sector. Two public sector mechanism used to promote access to finance
(especially for smaller firms) are foreign currency revolving funds; Export Development Fund
managed by the Bangladesh Bank and pre-shipment export finance guarantee scheme. In these
financing facility EDF is paying a vital role in pre-shipment export financing phase.

Initially, the main objective of creating EDF by GoB with the help of IDA in 1989 was to provide
pre-shipment credit to meet exporters’ foreign exchange loan requirements for imported inputs of
private sector exporters. Particularly new nontraditional exporters were targeted here to stimulate
the development of backward linkages by promoting the use of inland LCs for deemed exporters.

4
Export Development and Investment Fund (EDIF) in Ghana to Promote Export was established
on the 4th October 2000 to provide financial resources for the development and promotion of the
export trade of Ghana
With growing exports, the size of the EDF grew too. The fund was enhanced to USD 2500 million
in 2017 (BB, 2017). The total disbursement and outstanding of EDF amount have a positive growth
over the years. The compound annual growth rate of disbursement from FY2005 to FY2016 is
around 27% (BB, 2017). The basic reason for this enhancement is the rising demand from
exporters. This growth in EDF use shows the path of canalization of private sector in export led
economy of Bangladesh. But the EDF is now facing a number challenges in operations and
regulations aspect.

The overall objective of this study is to highlight the utilization of EDF facility. The utilization of
EDF is trying to phase out with analysis of regulatory framework, current status and challenges of
using this facility in catalyzing private sector to boost export market. Moreover some global
experiences are also analyzed to draw some diversified options for EDF. With this view the
specific objectives are one; to describe the regulatory framework of EDF in Bangladesh; two; to
analyses the current status of EDF in Bangladesh and finally to find out related challenges in
handling EDF.

The study is based on both primary and secondary information. Secondary published articles on
export development and associated areas were sources of relevant global literature. Government
publications of various departments like Export Promotion Bureau (EPB), and BB reports are
important sources of our study. Moreover, consultation with officials of BB and trade officials
from trade services department from banks is also conducted. A primary survey was conducted
amongst AD bank branches-mostly Principal Branches/Main Branches -of different banks of the
country. A total number of 25 AD bank branches responded as part of the questionnaire survey of
the study. Case studies on the Export Development Fund (EDF) of selected bank branches are
accommodated in the paper to understand challenges from the banks’ and clients’ perspectives.

To summarize the research study the paper is divided in six chapters. First chapter considers
background, objectives, methodology and chapter organization. Global practice in facilitating
export are explained in chapter two. Export trend and Regulatory initiatives for export are
explained in chapter three. Chapter four has explained the regulatory framework operational
procedure and current trend of EDF. Some challenges in handling EDF are explained in chapter
six. And chapter six comprises some recommendations with concluding remarks.

2. Global Practice to Boost Export Markets with Specific Facilities:

Exports play an important role in an economy, influencing the level of economic growth,
employment and the balance of payments. Growth of an economy is directly related to exports. If
exports increase at a faster pace as compared to imports, nothing can stop an economy from being
a developed one (UNCTAD, 2015). On the other hand, the instability in exports can adversely
affects the process of economic development. So export oriented development has been the
cornerstone of the economic policy of the Government of many countries. Now many
Governments are promoting private sector led export development in their foreign trade policy
(WB, 2015). European countries encourage their firms to export when their primary markets are
saturated and depressed (WTO,2017). Moreover export financing assumes even greater
importance in the context of the lack of liquidity in European countries such as Portugal. In
different fiscal policy, financial support is considered as a fundamental resource to boost export in
view of the international markets. Many studies (Moini 1998, Kotabe and Czinkota 1992, Howard
and Herremans 1988, Kedia and Chhokar 1986) have explored the efficacy of export assistance
programs introduced by governmnets and central banks of different developing countries. As Janda
claims (2008), state export support carried out through government agencies is a standard feature
of the economies of a vast majority of countries, including the Czech Republic, Malawi, Zambia,
India, Pakistan, Ghana5, Ruwanda etc (Box 2.1, to 2.4 ). In many countries specific fund in
different name are opened by government and it’s agencies to accelerate the export development
in the country.
Box 2.1: Czech Export Strategy 2012 – 2020 to boost export
Several export strategies were introduced, including a strategy for years 2003 to 2006, 2006 to
2010 and the latest one for the period 2012 to 2020, which seems to be the most comprehensive
(MIT, 2012a). The strategy provides three main pillars of the export strategy, which should
secure its success and fulfillment of the specific goals. The first pillar “Information for export”

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Export Development and Investment Fund (EDIF) in Ghana to Promote Export was established
on the 4th October 2000 to provide financial resources for the development and promotion of the
export trade of Ghana
should cover creation of a center for shared services and export information, one-stop-shop and
global diversification. The second pillar “Export development” covers services for exporters,
export financing and insurance (special export credits and guarantees), international sources of
financing and development cooperation , clusters and export promotion and a control and
communication platform . The last pillar “Business opportunities development” takes care of
implementation of the EU trade policy and export to the EU internal market optimization of
the foreign institution network, foreign network services and investment and innovation for
export of goods and services.
Ministry of Industry and Trade, Czech Republic, 2017

Box 2.2: Export Development Fund For The North Eastern Region in India
Following the announcements made by the Prime Minister of India in respect of measures for
the development of exports from the North-Eastern region in Shillong on 2000, an Export
Development Fund (EDF) has been set up by the ministry of commerce and industry. The
objective of the Fund is to assist specific activities for promotion of exports from the North-
Eastern region of the country including Sikkim. All activities, which have a linkage with the
exports from the region and are designed to help exports, shall be eligible for assistance from
the fund.
Source: Ministry of Commerce and Industry, India, 2016

Box 2.3: Export Growth Fund (EGF) Nurturing SMEs, closing the export deficit gap in
Ruwanda
The Ministry of Trade and Industry (MINICOM), under the fourth pillar of the National Export
Strategy, established the Export Growth Fund (EGF) that will be managed in partnership with
Development Bank of Rwanda (BRD). The facility is aimed at fast-tracking export growth
through solving the challenge of access to finance and high interests that have as well as augment
exporters’ ability to compete successfully on the international market and ultimately enhance
the country’s export earnings. The principal objectives of the facility include; broaden the range
of financial services of Rwanda’s finance sector, to facilitate access of Export oriented SMEs
with growth potential to tailored export finance products and services, to provide access to
finance at competitive prices to export oriented SMEs, improve knowledge of SMEs on export
related finance via technical assistance, increase capacity building through improving
knowledge of finance institution on export related financing instruments and related previously,
the financial sector generally extended financing to traditional exports such as hotels and
tourism, tea, coffee and minerals
Source: International Growth Center, 2017

Box 2.4: Opportunity To Access Export Business Financing Through EDF in Malawi
Export Development Fund (EDF) is a Development Finance Institution with a particular focus
on exports. EDF was set - up by the Government of Malawi to provide financial assistance
required for the development of exports in order to expand the country's capacity to generate
sufficient foreign exchange. Exporters are hereby reminded of the availability of project and
trade finance facilities from the fund. Project Finance meant for startups, expansion and
modernization of export projects in need of capital assets while Trade Finance is a working
capital facility aimed at supporting viable export businesses to facilitate production and
aggregation of agricultural commodities and other locally manufactured products.
Source: Ministry of Trade and Industry, 2016

3. Export Led Economy of Bangladesh: Export Trend and Regulatory Initiative to Promote
Export
3.1 Export Trend in Bangladesh
When it emerged as an independent country Bangladesh was a relatively closed economy with the
trade ratio at less than one-seventh. Since then merchandise exports and imports of Bangladesh
have increased greatly in quantity and variety. In the early years, the country‟s exports comprised
mostly raw jute and a few jute good items. These accounted for about nine-tenths of the total export
revenue of US$377 million during the fiscal year 1972-73 (Taslim & Haque,2011). The export
composition changed dramatically since then; ready made garments (RMG) comprising knitwear
and woven apparel products emerged as the principle export items of the country while jute export
stalled (Figure 3.1 and Figure 3.2). The country achieved remarkable success in export expansion,
mainly because of the RMG industry. The total merchandise export increased to USD 3.21 billion
in July, 2017 which was 26.54 percent higher than USD 2.53 billion in July, 2016, according to
EPB data. The importance of RMG in the country’s export basket has increased steadily. From its
humble beginning in the late seventies, the RMG sector now accounts for more than three quarters
of the total exports of the country. Thus, during the last three decades Bangladesh has moved from
an excessive dependence on jute products to RMG products in its export trade. The major market
for RMG are USA, Germany, UK, Japan, India, China, Australia, South Korea and Brazil ( EPB,
2017).
Figure 3.1: Sectoral Distribution of Export Figure 3.2 : Sectoral Distribution of Export in 2015-
in 1972-73 16

Chemical
Frozen Products
Footwear (Excl. Leather & 0.36%
Others food Leather) Leather Prod.Engg. Products
0.9% 0.64% 3.39% 1.49% Plastic Products
0.9% Agri. Products 0.26%
Tea 1.74%
2.9%
Frozen Food Other Products
Jute 1.56% 3.62%
Raw jute Woven Garments
38.5% goods 43.04%
Home Textile
51.4% 2.20%
Jute & Jute
Goods
Chemical 2.69%
products
0.9%
Leather
4.6%
Knitwear
39.00%

Source: Export Promotion Bureau, 2017


The RMG exports are also evidencing a huge import of raw materials over the year. The import of
raw materials, like raw cotton, yearn textile etc., to support major export is about 22 percent of
total import in fiscal year 2017. In last four fiscal years, this import was always over 20 percent of
total import (Figure 3.3). And most of the cases, back to back LC facilities are used to procure raw
materials from global market as well as local market. Moreover, to support import need of exporter,
government has introduced export development fund to provide pre-shipment export financing
facility on revolving basis.

Figure 3.3: Import Trends of Raw Cotton, Yarn, Textile and Articles thereof as Percentage of
Total Import during FY14 to FY17
24.30% 24.19%
23.70%

22.40%

FY14 FY15 FY16 FY17

Source: Bangladesh Bank, 2017


3.2 Government’s Initiative to Catalyze Export in Bangladesh
Export finance is one of the primary constraints inhibiting exports in many low-income developing
countries like Bangladesh. Inadequacies may result from the overall weakness of the financial
sector mainly in facing difficulties in assessing the creditworthiness of traders. Small firms bear
the brunt in obtaining access to trade credit similar to the difficulties they face in accessing other
parts of the financial sector. GoB has special focus in arranging export credit at comparatively
lower interest rate to exporters along with other financial assistance. Product sectors have been
identified as the "highest priority sectors" while some other product sectors as "special
development sectors" depending on the level of production and supply, potential contribution to
the export sector, demand in the international market and, above all, the capacity to contribute to
the socio-economic development of the country. For both the sectors, government has a policy to
provide exporters soft loan and lower interest rate. In the policy, Export Promotion Bureau (EPB)
has been given authority to provide necessary financial assistance from Export Promotion Fund
(EPF) and Export Development Fund (EDF). Two public sector mechanism used to promote
access to finance (especially for smaller firms) are foreign currency revolving funds (e.g. Export
Development Fund managed by the Bangladesh Bank) and pre-shipment export finance guarantee
scheme6. In policy it is also mentioned to increase the amount of Export Development Fund when
required. According to the export policy, commercial banks are to provide export credit to the
exporters at least 90 percent of L/C or contract value against irrevocable letter of credit or
confirmed contract. Banks are also authorized to fix the exporters' cash credit limit based on the

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The revolving funds provide finance for imported inputs based on the exporter presenting the letter of
credit which allows the exporter’s bank to access the fund’s foreign exchange to pay for the imports. The
guarantee schemes cover exporters’ manufacturing non-performance risks and are generally targeted at
smaller firms and new entrants into the export area that have difficulty in satisfying bank’s collateral
requirements.
success of export earning of previous years and bank-client relation and in light of actual potential/
management of export growth. Commercial banks cannot charge overdue interest in case of the
products exported on the basis of sight-payment under irrevocable letter of credit on condition of
submitting necessary export documents by the exporter.

4. Export Development Fund in Bangladesh: Regulatory Framework and Operational


Procedure
4.1 Regulatory Framework in EDF Management
Initially, the main objective of creating EDF by GoB with the help of IDA in 1989 was to provide
pre-shipment credit to meet exporters’ foreign exchange loan requirements for imported inputs of
private sector exporters. Particularly new nontraditional exporters are targeted here to stimulate
the development of backward linkages by promoting the use of inland LCs for deemed exporters7.
Considering the importance of pre-shipment trade finance, IDA and government of Bangladesh
had approached to create a fund named Export Development Fund. Initially IDA has contributed
USD 25 million with government in total size of USD 30.16 million of EDF. As Bangladesh Bank
is the regulatory authority for regulating and supervising all foreign exchange transactions that
mainly include trade payment and financing activities, the operational procedure and banking
regulations regarding EDF are mainly linked with central bank. Practically, ADs offer services as
the agents or dealers of the central bank, and ADs are required to follow Foreign Exchange
Regulation Act 1947, trade policies and a sets of international rules and guidelines formulated by
International Chamber of Commerce (ICC). The major regulations relevant for all foreign
exchange transactions (that ensures foreign currency inflows and outflows) may be summarized
as follows (Box 4.1).
Box 4.1: Regulation/Rules/Guidelines Relevant for Short Term Foreign Currency Financing
by Banks
Domestic Regulations/ Rules: Foreign International Guidelines/Rules: Uniform
Exchange Regulations Act 1947; Export Policy Customs and Practice for Documentary Credit
2015-2018; Import Policy Order 2015-18; (UCP 600); Uniform Rules for Collections (URC

7
Supplier of local goods & raw material used in industries/ projects will be considered as deemed exporter.
Deemed exporters, like direct exporters, will enjoy all export facilities including duty-drawback, local raw
materials used for producing export, and
Bangladesh Export Processing Zones Authority 522); International Standby Practices (ISP 98);
Act 1980; The Bangladesh Economic Zones Act Uniform Rules for Demand Guarantees (URDG
2010; Bangladesh Investment Development 758).
Authority Act 2016.

Foreign Exchange Regulation Act 1947 or FERA, 1947 has empowered Bangladesh Bank to
regulate all kinds of foreign exchange dealings in Bangladesh. Empowered by the Act, Bangladesh
Bank issues AD licenses for conducting trade payments, financing and other international banking
operations. Following the provisions of the Act, Bangladesh Bank issues circulars/guidelines time
to time to regulate trade payment, financing, remittance services etc. activities to be followed by
the banks. In this process, one cannot by-pass the policy decisions and directives of the government
in the form of Export Policy and Import Policy Order issued from the Ministry of Commerce of
the country as empowered by the Imports and Exports (Control) Act, 1950.

The issues related to EDF is held and managed by the Foreign Exchange Reserve and Treasury
Management Department (FRTMD) of Bangladesh Bank and policy related issues are managed
by Foreign Exchange Policy Department of Bangladesh Bank. With growing exports, the size of
the EDF grew too. The fund was enhanced to USD 2500 million in 2017. Furthermore, USD 200
million has been allocated to refinance the Green Projects. Exporters can avail EDF loan for
imports against export LC/firm export contract/inland back to back L/C through Authorized Dealer
(AD) banks. The EDF refinancing covers sectors like textile, garments, accessories/packaging
material, plastic goods, leather goods & footwear, ceramic wares, dyed yarn, agro-food processing,
bicycle, etc.

In 2009 a master circular was published by Bangladesh bank. The main purpose of the master
circular was to make the operational procedures for Authorized Dealers (ADs) more easy and strict
compliance. Interest rate on borrowing from EDF, tenor of EDF loans, eligibility of EDF loans,
amounts of EDF loans and application for EDF loans from BB are the main focus of the master
circular. BB changes interest rate considering local market and international market interest rate.
Currently ADs charge interest rate @ six month LIBOR +1.5% to the export clients and BB charge
@ six month LIBOR +1%. ADs are to repay EDF loans to BB upon receipt of proceeds of the
relative exports in all cases within 180 days from dates of disbursement which is extendable by
BB up to 270 days upon application to BB explaining the necessity of longer period for repatriation
of export proceeds. So far 15 numbers of circular and circular letters have been issued by BB after
issuance of master circular in 2009 (Appendix 1). BB has set some common eligibility criteria to
avail the fund. ADs are required to follow the instructions before providing EDF Loan facilitation
and that is shown in box 4.2.

Box 4.2: Some Common Eligibility for Availing EDF Loan


 Input imports by manufacturer-exporters in full compliance with the value addition and
Import Policy Order(IPO)
 No overdue Bill of Export and Bill of Entry
 Not exceeding single borrower exposure limit
 Manufacturer-exporters who are not loan defaulters including those whose loan accounts
have been rescheduled
 Utilization in the case of importing raw-materials for manufacturing the exportable
products
 Borrowing as many times in a year on revolving basis under limit
Source: BB

EDF financing is admissible for input procurements against back to back import LCs/inland back
to back LCs in foreign exchange; by manufacturers producing final output for direct export. This
can also be used by producers of local deliveries of intermediate outputs to manufacturers of the
final export. At present, the single party borrower limit is set at USD 20.0 million, except leather
goods & footwear, ceramic wears, dyed yarn, agro-food processing, bicycle, accessories &
packaging and plastic goods manufacturer exporters. However, this limit is maximum USD 15.0
million for leather goods & footwear, ceramic wears, dyed yarn, agro-food processing, bicycle and
USD 2.0 million for accessories and packaging and 1.00 million for plastic goods manufacturers.
The appendix 2 indicates different sectors/products including purpose and maximum outstanding
for a single borrower from EDF loan.

4.2 Operational Procedure of EDF in Bangladesh


Normally for some instances to import raw materials, ADs are requested to issue sight LCs and
importers apply to avail EDF facilities for repayment of those LCs. ADs, after receiving and
examining documents, make sight payment against complying presentation. On the day of
payment, ADs claim reimbursement from BB through its head office or principal branches. This
claim is made to Bangladesh Bank through online. FRTMD of Bangladesh Bank scrutinizes
applications, if claim is genuine, makes reimbursement into ADs foreign currency clearing account
maintained with BB. In case of repayment to BB, the International Division of respective bank
authorize BB for debiting principal and interest/profit amount of EDF. A prescribed detailed
calculation worksheet is also prepared by ADs for reimbursement and repayment of EDF loan. If
ADs cannot repay the loan within the stipulated period, in that case, BB may consider extending
the tenor of the loan with valid justification In the time of application for EDF, ADs have to
authorize BB to debit banks’ foreign currency account with BB in realization of principal and
accrued interest due upon expiry of the permissible tenors of the loans, if not repaid earlier by
ADs. The detail procedures is shown in figure 4.1

Figure 4.1: Procedure of Getting Export Development Fund

Crediting the Loan


Applcation for Scrutinization of Amount to the
opening LC under EDF Application by FRTMD account

Request of HO to BB
Opening Sight LC for Crediting FC Repayment of
under EDF Clearing Account Principal and interest
Maintained with BB by ADs upon Receipt
of Export Proceeds

Application for
Receiving, Examining
Reimbursement by
and Making Payment
ADs through
agaisnt Complying
HO/Principal Office
Presentation
to BB

4.3 Analysis of EDF in Bangladesh: Current Trends and Status


The total disbursement, on a revolving basis, from EDF in FY16 stood at USD 3.84 billion
compared to USD 3.55 billion in FY15. The outstanding balance at the end of June, 2016 stood at
USD 1.69 billion which was USD 1.64 billion in the previous year (Figure 4.2 and Figure 4.3).
The total disbursement and outstanding of EDF amount have a positive growth over the years. The
compound annual growth rate of disbursement from FY2005 to FY2016 is around 27%. The basic
reason for this enhancement is the rising demand from exporters. Earlier only 2-3 export items like
garments qualified for EDF assistance. Now the basket of export items are diversified under EDF
facilities. Considering the increasing demand, size EDF is also increased by central bank.

Figure 4.2: Disbursement from EDF in Figure 4.3: Outstanding Balance of EDF in
Million USD from FY05 to FY16 Million USD from FY05 to FY16

3840
3550
1690
1640

1350
2490

799.98
1740

498.
1260 9
400
998.6 256.6
478.8 93.5
54.99 75.58
287.3
216.37 172.22 175.22 215.97

FY07 FY08 FY09 FY10 FY11 FY12 FY13 FY14 FY15 FY16
FY05 FY06 FY07 FY08 FY09 FY10 FY11 FY12 FY13 FY14 FY15 FY16

Source: BB,2016

As observed in survey data during CY2016, member mills of BTMA bagged 55% of total EDF
facility which is followed by member mills of BKMEA (25%) member mills of BGMEA (12%),
member organizations of BGAPMEA (6%) (fig. 4.4). the members of these associations normally
import cotton, yarn, textiles, garments accessories etc. From survey data, it has been observed that
main sources of raw materials from abroad under EDF are from China and India (fig. 4.4).
Different coded of LCs are used in EDF arrangement, foreign sight LC topped most with 83% , on
the other hand local sight LC and EPZ sight LC were 42% and 17% respectively. Basically these
foreign sight LCs under EDF are opened to import cotton, yearn etc. Sometimes, foreign buyers’
requirement and also to ensure quality in low price, our exporter prefers to import raw materials
which increase the demand for foreign back to back LCs under EDF facility.
Figure 4.4: Sectoral Distribution of EDF during Figure 4.5: Types of LCs Used in EDF Arrangement:
CY2016 (In Percentage) in Volume Banks' Perception in Percentage in Number

Others 83%
Member 2% Member
Mills of Mills of
BKMEA BGMEA
25% 12%

42%

Member 17%
Organisati Member
ons of Mills of
BGAPME BTMA
A 55%
6% Local Sight LC Foreign Sight LC EPZ Sight LC

Source: Survey Data

The increasing demand for EDF is also an opportunity for banks in export business. As sight LCs
in importing raw material is competitive payment terms, exporter sometimes demands sight LCs
in importing raw materials. In survey fulfillment of client’s demand and procurement of raw
materials on sight basis are considered as important benefits of utilization of EDF fund from
bankers’ point. Moreover, EDF facilities also boost the financing which gives larger flexibilities
in repayment from exporters. This facility also encourage and support exporters to perform
according to the export order on time, which motivates more export order(fig. 4.6).
Figure 4.6:Benefits of EDF: Banks' Perception in Percentage
83

68
61 59

Fulfillment of Clients' Demand Procurement of Raw Materials Motivation of Performing More Flexibility in Repayment(180 to
on Sight Basis Export Orders 270 days) by Applicant
Source: Survey Data

5. Challenges in Utilization of EDF in Bangladesh


In connection with EDF in Bangladesh, most of the cases of challenges are related to non-
compliance of regulation or guidelines. Some of these are intentional, and many of these are due
to knowledge gap of the service providers. There are also instances when fraudulent activities or
undue legal steps by the clients resulted in difficulties. Behavior on the part of clients and other
external steps also affect country risk, and thus export business as well. Of the different trade
related frauds, delay payment, compliance and undue charging issues are very concerning to all
policy makers in country. Some of these key challenges of EDF are summarized as follows:
5.1 Delay payment may cause to reduce competitiveness
LC is globally guided by UCPDC and international standards. Sometimes violation of international
practice may reduce the competitiveness of domestic client. There are instances that to utilize EDF
facilities bankers are delaying payment under sight LCs. But as per BB guideline, ADs are to make
payment of sight LCs first and then claim for reimbursement. But some are waiting for fund from
BB and then make payment of the LCs (mini-case 5.1). However, sometimes nonpayment or delay
in export proceed may also lead to the delay payment of import LC under EDF. In our survey this
is considered as cause by the bankers (Figure 5.2). This practice is becoming a threat to country
risk and exporter’s competitiveness. This challenge is also identified by bankers in our survey data
and it is 59 percent (Figure 5.2).
Mini Case 5.1: Intentional Late Payment of EDF Import Bill
Mr. L is the GM (commercial) in ABC Garments Ltd. He came to the manager of the bank branch
with a request to open a sight back to back LC to import cotton. He also applied for EDF facilities.
The bank branch issued the LCs. Upon receiving complying documents, the AD did not make
payment from his own account though the LC was on sight terms. AD claimed the fund from BB
and held the compliant document for long 19 days. He made payment after getting reimbursement
from Bangladesh Bank. This goes against the spirit of international trade standards as well as
violation of domestic regulations in the country.
Note: Bank source

5.2 Undue Charging for the Lead Time in EDF Arrangement


Normally banks are supposed to make payment in foreign currency and they claim for
reimbursement from BB. And for the lead period between payment of sight LC and
reimbursement from BB, banks are asked to charge LIBOR + 2.5%. But in some cases banks
are creating BDT loan as well as applying commercial rate, which is violation of regulations
(Mini case 5.2). Here undue charging is creating a pressure on exporter and creating BDT loan
in client’s name also has exchange rate risk exposure for the exporter. It is simply misusing
the facility to promote export.
Mini Case 5.2:Undue Charging of Additional Profit for the Lead Time on EDF Import Bill
An EDF LC was issued at the request of an importer. After having compliant document, AD bank
branch requested its’ treasury to make payment in foreign currency. And AD also created a loan
in BDT at client’s account. The AD got reimbursement from BB after 13 days from the creation
of PAD in the name of client. But interest rate in BDT loan account was charged at commercial
rate rather than BB prescribed EDF rate. Here in this case, bank cannot charge commercial rate
for the lead time in EDF arrangement. Moreover, EDF prescribed rate is for foreign currency
denominated facility.
Note: Bank Source

5.3 Malpractice in EDF may Create Risk for Banker


EDF is a trade financing facility to support exporters. There are some criteria from BB for
eligibility to get EDF facility. Sometimes avoiding those criteria to select client for EDF facility
may create undue risk for ADs as well as for bankers (Mini Case 5.3 and Mini Case 5.4). As EDF
is foreign currency fund and it is not for all, proper utilization of this fund is really required. The
selection of borrowers is a crucial parameter for Bankers to provide EDF facility. However, strict
monitoring and supervision for proper utilization of EDF fund is really the gap here.
Mini Case 5.3: Undue Influence of Loan Defaulter
A client (exporter), who had rescheduled investment, approached AD bank branch for issuance
of EDF LC. At first, the manager denied to open the LC as customers having reschedule
investment are not eligible for EDF facility. But for undue influences of the client, the manager
was forced to provide EDF facility. Ultimately, EDF LC was issued and settled by the AD bank
branch in time. But, a special team from BB came to the branch and scrutinized the data of
investment and trade finance. They easily found the wrongful presentation of fact about- Opening
of EDF LC while one of the investments of the said client was further rescheduled Finally, the
manager and the trade finance in-charge was suspended and AD license was seized for some
days.
Note: Bank Source

Mini Case 5.4: Issuance of EDF LC Having Overdue Export Bill and Bill f Entry
Mr. A is an exporter who came to the bank with a request to open an EDF LC. But the client had
a long overdue EXP (for which the actual export bill still was not repatriated) with other lien
bank and an overdue Bill of Entry with the said Branch. At first, the manager denied to open the
EDF LC but later on based on the client earnest request he opened the said LC without complying
the directions of Central Bank guidelines and rules of other controlling authorities. But after
issuance EDF LC, the client failed to make payment on time. But BB had debited the bank’s
foreign currency account on due time. The banker was penalized by its’ internal bank
management for violating the domestic regulation.
Note: Bank Source

5.4 Fund Diversion May Affect the Utilization of EDF


EDF is a facility for exporters to get finance for importing raw materials by sight LC. It’s a foreign
currency pre shipment financing. All export industries are not eligible to get this fund. But some
eligible exporters are misusing the fund by diverting it’s proper interest (Mini Case 5.5).
Sometimes the EDF import accommodation bills are drawn in our country simply to meet
emergency cash mismatches, easy way of financing and making speculative profit on it. It is
sometimes difficult for banker to find out this fund diversion motive. Clients’ moral hazard and
bankers’ asymmetric information problem induce the risk of fund diversion. It is also found in our
survey as a big challenge for bankers which is 67 percent (Figure 5.2).

Mini Case-5.5: Fund Diversion for Speculative Profit


An exporter required 10 MT of yarn for a period to execute export orders. An amount of 13 MT
of yarn was procured for that period through EDF LCs. Excess Procurement of low cost yarn
from abroad using EDF LC was sold in local market in high rate. At the time of bond customs
audit, the exporter somehow managed it. It was difficult for AD to justify actual utilization of the
yarn imported through EDF LC. So, the party got the option in making extra money by selling
the excess volume of yarn which was not required for his export order. EDF LC must be opened
for imported goods which would be used for production of finished export oriented products
Note: Bank Source

5.5 Inappropriate Approach of Bankers may Create Obstacles in EDF Utilization


The background to create EDF is not reflected sometimes in utilization of EDF facilities by
bankers. Moreover, the bankers’ are also unable to disseminate the information of this facility to
the client properly in several cases. This inappropriate information may create business challenge
for clients (Mini case 5.6). So bankers’ unprofessional approach sometimes play a crucial role for
proper utilization of EDF.
Mini Case 5.6: Inappropriate Approach of Trade Official in EDF Settlement
An EDF LC was issued and paid by AD bank branch of a private commercial bank. Due to non-
repatriation of related export proceeds, the AD failed to repay the EDF payment. Though there
is an option of extending the maturity date up to 270 days, a forced loan was created by the branch
in the name of the importer at commercial rate. Here the official had option to apply for extending
maturity date from BB with valid justification.
Note: Bank Source

5.6 Regulatory Challenge Faced by the Bankers


Uncertain lead time is an ambiguous risk for bankers to handle EDF fund. In different circulars
from BB, clear information of lead time is absent. Bankers are certain to get reimbursement from
BB but they are uncertain about the exact time (Mini case 5.7 and Figure 5.1). In our survey it is
found average lead time is 11 to 20 days (figure 5.1). Moreover, Criteria to incorporate a new
sector under EDF facilities are not made public and are not known to exporters. Various sectors of
export are entitled to get this facility; the inclusion of a sector is solely determined by BB.
However, there is a gap in proper regulatory information for bankers as well as clients. In some
cases the permitted limit for the single borrowers may not be enough to support the exporters.
However, though the list for EDF facilities are updated but some sectors are also important enough
to get EDF facilities. In some exports like Pharmaceuticals, Ship Building, Light Engineering etc.
are getting importance in export bundle and they are in need of pre-shipment export financing
facility like EDF.

Mini case 5.7: Uncertain Lead Time for Receiving EDF May Create Operational Challenge
An exporter approached to an AD to open a sight LC under EDF facility. AD opened the LC.
After complying presentation of documents under that LC, AD approached to its’ treasury to
make the LC payment. The treasury settled the LC and created a foreign currency loan in client’s
name according to the prescribed rate of EDF. But AD was not certain when reimbursement
would be given by BB. Ultimately it created foreign currency cash flow management problem
for treasury of respective bank. But the reimbursement from BB was came after 23 days.
Reimbursement uncertainty may create some undue environment for banks to handle EDF.
Note: Bank Source

Figure 5.1 : Lead Time for Receiving EDF Disbursement from BB:Banks' Perception in
Percentage

67%

17% 17%

Within 5 to 10 Days From 11 to 20 Days More than 21 Days

Source: Survey Data


Figure 5.2: Challenges of EDF: Banks' Perception in Percentage

67
59

23

Risk of Timely Payment/Non- Risk of Fund Diversion Exchange Rate Risk in Case of Non-
Payment by Issuing Bank or repatriation of Export Proceeds
Importer

Source: Survey data

6.0 Recommendations
Considering the practice, trend and challenges in this study some recommendations are
summarized below
6.1 Lower Lead Time to Get EDF
In survey, higher lead time to get reimbursement is considered as an inconvenience challenge for
bankers. The demand for EDF is increasing over the period. So sometimes, for BB, lead time for
reimbursement becomes higher. Actually bankers are also not informed how long it would take to
get reimbursement. Though banks are charging interest rate they are facing sometimes mismatch
in foreign currency liability. So, if they have the information of how long will be the lead time, it
would be better for them to manage the liability under EDF facility.
6.2 Criteria to get EDF Facility to be Made Public

Though the list for EDF facilities are updated but some sectors are also important enough to get
EDF facilities. In some exports like Pharmaceuticals, Ship Building, Light Engineering. etc. are
getting importance in export bundle. And some are importing raw materials and capital
machineries in these sectors. For getting more acceptance in global market these sectors are
importing raw materials from abroad. But they are not getting the pre- shipment financing facility
under EDF. Regulators special ministry of commerce may disclose the criteria to be included in
the EDF list.

6.3 Bankers’ Need to Minimize Fund Diversion Risk


Moral hazard and asymmetric information problem sometimes create a risk of fund diversion. This
facility is a remarkable pre shipment financing option for exporters. As exporters’ are bank’s client
they need to justify properly the amount that is imported under EDF facility. It is difficult for them
to justify all imports but it is expected. They need to do proper investigation before applying for
EDF facilities.

6.4 Value Addition Criteria Needs to be Updated

As EDF is a facility, it should be used to encourage to use domestic backward and forward linkage
facility. High value added exports need to be inspired by different facilities. Under EDF, value
addition is considered as criteria for eligibility. But the quantification of this value addition to get
EDF facility is needed for all selected export sectors. Moreover, this quantification needs to be
updated after a certain period of time. The limit to get EDF can also be linked with the value
addition requirement.

6.5 Need Proper Monitoring for Malpractice under EDF

In the study, we have found different types of malpractice which actually hamper the true interest
of EDF facility. Delay payment, nonpayment, overdue bill of entry, fund diversion etc. are
reflected as major malpractice in the study. These misconduct may cause high country risk,
business risk and exchange rate risk. In this case, Bangladesh Bank should come forward to
introduce mechanism for reducing the malpractice. In this case proper reporting on EDF facility
can be an option. However absence of proper disclosure of EDF utilization data may create
ambiguity in market. So effective data disclosure mechanism is needed for proper monitoring and
motivation

6.6 Customized Limit to Get EDF Facility

Under EDF there is single borrower limit which justifiable. But this limit can be used as a
motivational tool for exporter. Regulators may think to introduce criteria for customized single
borrower limit under EDF facility. Good exporters should be considered under this customization.
This may also act as a reward for good export.

6.7 Innovation Needed in Utilizing EDF


Basically EDF is used as pre-shipment export facility. In many countries, policy makers are
allocating soft fund, both in domestic and foreign currency, to boost the export market. Some funds
are considering financing as well as technical and capacity development of exporters. In our
country major motive of EDF is to meet export financing need in foreign currency. In our country
only foreign currency financing is considered under EDF. But this fund can be diversified in
category of utilization. Capacity development of exporters as well as bankers are really challenge
in export market, which can be consider under export development soft fund. But in many
countries domestic currency financing is also available for export development to boost local
backward linkage. These issues can be considered under innovation in soft fund facility for export
development.

6.7 Integration among Stakeholders to Build Awareness

EDF is a facility for exporter. But there is knowledge gap in the market on the criteria as well as
the parameters of using EDF facility. In this circumstances, Bangladesh Bank and bankers are not
enough to remove this gap in the market. Different other regulators, business associations, training
and research intuitions are needed to come forward to build awareness in the market for proper
utilization of EDF facility. Moreover, the integration among stakeholders also can remove the
barriers among them and a possible policy changes can come out to match the market.

Concluding Remarks
In order to make interest more competitive on foreign currency loans for Exporters, EDF facility
is introduced. The goal of this facility to support exporters trying to diversify into higher value
products. The demand for this fund is growing over the years. But growing demand of EDF is also
introducing some challenges. Malpractice by bankers, willful default of clients and fund diversion
risk may cause an operational obstacle at proper utilization of EDF. Moreover, absence in
quantification of Value addition of export products, lack of monitoring and information gap of
criteria for being in EDF list are also making some regulatory challenge in this facilities. Data on
EDF is needed to be disclosed for proper monitoring and motivation. In the path to boost export,
stakeholders’ integration is also required for better utilization of EDF facility. However,
innovation in financing export development is required to reflect local currency soft loan facility
for exporters. Capacity development is also an issue for further consideration.
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Appendix-1
Summary of FEPD Circulars and Circular Letters Issued during CY 2002 to 2017
DBOD Circular No. 02: Export Development Profit Rate Reduction from 4.35% to 2.96%
Fund (Date : 02-07-2002) effective from 01-07-2002
DBOD Circular Letter No. 09: Export EDF claim through ID.
Development Fund (Date : 23-09-2002)
DOS Circular No. 01 : Export Development Profit Rate increased 3.79% from 2.96%
Fund (Date :12-01-2005) effective from 01-01-2005
DOS Circular No. 04 : Export Development Profit Rate increase 4.39% from 3.79%
Fund (Date :02-04-2005) effective from 02-04-2005
FRTMD Circular No. 03: : Export Development Total EDF volume limit increase from
Fund (Date: 25-10-2007) $100.00 million to $ 150.00 million
FRTMD Circular No. 01: : Export Development EDF repayment tenor increased from 180
Fund Repayment (Date: 23-04-2008) days to 270 days effective from 04-05-2008
FRTMD Circular No. 01: : Export Development EDF Exports’ borrowing limit enhanced
Fund (Date: 30-06-2009) from $1.50 million to $2.00 million effective
from 01-07-2009
FE Circular No. 25: Master Circular on Export Master Circular on Export Development
Development Fund (EDF) (Date : 22-12-2009) Fund (EDF) on overall issues and reporting
procedure
FE Circular No. 19: Interest rate on Export Manufacturer-exporters are charged interest
Development Fund (EDF) loans (Date :22-09- @ six-month LIBOR +2.5 percent p.a. on
2010) EDF loan
FE Circular No. 20 : Enhancement of Export Total EDF volume limit enhanced to USD
Development Fund (EDF) (Date : 27-10-2010) 400 million from existing USD 300 million.
FE Circular No. 21: Inclusion of Export Inclusion of ERC No. of direct/
Registration Certification (ERC) No. of direct/ deemed Exporter for loan from Export
deemed Exporter for loan from Export Development Fund (EDF) in all the reporting
Development Fund (EDF) (Date : 14-11-2011) forms.

FE Circular No. 04 : Export Development Fund Inclusion of BGAPMEA members for


(EDF) (Date : 10-02-2013) enjoying EDF loan.
FE Circular No. 13 : Export Development Fund Total volume of EDF for single member of
(EDF) (Date :10-10-2013) BGAPMEA/BTMA increased.
FE Circular No. 15 : Interest rate on borrowing AD will charge six-month LIBOR + 1.5
from Export Development Fund (EDF) (Date percent p.a applicable for the next Six
:15-12-2013) months from the date of this circular.
FE Circular No. 16: Export Development Fund Inclusion of LFMEAB /BCWMA members
(EDF) (Date : 18-12-2013) for enjoying EDF loan.
FE Circular No. 26: Export Development Fund Total volume of EDF for single member of
(EDF) (Date : 22-06-2014) BGMEA/BKMEA/BTMA increased from
$12.00 million to $15.00 million.
FE Circular No. 30: Export Development Fund Total volume of EDF for single member of
(EDF) (Date : 21-07-2014) BGAPMEA increased from $1.00 million to
$2.00 million.
FE Circular No. 20: Export Development Fund Export Development Fund (EDF) to Type C
(EDF) to Type C industries industries
in Export Processing Zones (Date : 13-12-2015) in Export Processing Zones
FE Circular No. 22: Enhancement of Export Total volume of EDF for single member of
Development Fund (EDF) (Date : 23-12-2015) BTMA increased from $15.00 million to
$20.00 million.
FE Circular No. 17: Enhancement of Export Total volume of EDF for single member of
Development Fund (EDF) (Date : 19-06-2016) BGMEA increased from $15.00 million to
$20.00 million.
Source: summarized from www.bangladeshbank.org.bd
Appendix 2
Table 4.1: Eligible Entities, Purpose and Amount of EDF Facilities
Member Mills of BTMA Bulk import of raw cotton or The amount in foreign
other fibres against deemed exchange realized against
exports (Local deliveries of inland back to back LCs over
yarn to manufacturer- the past twelve months, or ii)
exporters against inland BTB USD 20 million, whichever is
LC in foreign exchange) lower.
Member Mills of BGMEA input procurement for a 20.00 million
manufacturer-exporter against
an export LC/firm export
contract
Member Mills of BKMEA input procurement for a 15.0 Million
manufacturer-exporter against
an export LC/firm export
contract
Member Mills of BGAPMEA bulk import of raw materials The amount in foreign
for local deliveries of garment exchange realized against
accessories to manufacturer- inland back to back LCs over
exporters against inland back the past twelve months,
to back LCs in foreign or ii) USD 2 million,
exchange whichever is lower
member mills of bulk import of raw materials value realized in foreign
the Bangladesh Plastic Goods for local deliveries of garment exchange against inland back
Manufacturers and Exporters accessories to manufacturer- to back LCs and export
Association (BPGMEA) exporters against inland back LCs/contracts over the past
to back LCs in foreign twelve months, or (ii) USD 1
exchange million (five hundred
thousand), whichever is
lower.
Manufacturer-exporters of input import needs of Bulk imports against
Leather goods & Footwear finishedleather/leather estimated requirements for
Manufacturers & Exporters goods/ceramic ware upto one year, based on their
Association of Bangladesh manufacturer-exporters export performance over the
(LFMEAB) preceding year.
Bangladesh Ceramic Wares input import needs of finished
Manufacturers’ Association leather/leather goods/ceramic
(BCWMA) ware manufacturer-exporters
Member mills of BDYEA Bulk import of unprocessed Value realized in foreign
yarn and chemicals for exchange against inland back
processing yarn for local to back LCs and export
deliveries to manufacturer LCs/contracts over the past
exporters agasint inland back twelve months, or (ii) USD 15
to back LCs in foreign million ,whichever is lower.
exchange
Type C industries in Export back to back import According to designated
Processing Zones LCs for input procurements Category.
Source: Bangladesh Bank

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