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Retail Research 1
Change in DDT on Debt MF schemes from June 2013 onwards – How to cope May 17, 2013
From 1st June, 2013 onwards, the dividends declared by all the debt oriented mutual funds for Individual & HUF investors will be
attracting a uniform rate of Dividend Distribution Tax (DDT) of 25% (plus surcharge and cess wherever applicable). Further, the
surcharge on Dividend Distribution Tax for all mutual fund schemes has also been hiked from 5% to 10%.
As per the existing structure, Liquid Funds are liable to pay the DDT of 25% (plus surcharge and cess) for such investors while the
funds other than Liquid funds (such as Ultra Short term, Short Term, Income, Gilt, MIP and so on) are liable to pay DDT of 12.5% (plus
surcharge and cess). The hike is proposed by the Finance Minister in the Union Budget FY14 to provide uniform taxation of DDT for all
types of investors as far as debt oriented funds are concerned.
On the other hand, partnerships and corporates have been paying DDT of 30% (plus surcharge and cess) from the dividends from the
investments in all debt funds (including Liquid funds).
As per the tax provision on the distributed income, fund houses pay taxes on the dividend distributed to the investors. Fund houses
deduct DDT from the Dividend. So the net dividends are tax free in the hands of investors. It is to be noted that there is no tax levied on
the dividend distributed by Equity oriented mutual fund schemes for any investors.
The below table summarizes the changes proposed in the Union Budget on DDT for the Individual & HUF investors.
For Individuals and HUF investors:
Classification Categories Existing
Proposed
(From June 01, 2013)
Equity Funds
Equity Diversified,
Equity Sector,
Hybrid - Equity Oriented (more than 65% equity),
Arbitrage Funds
NIL NIL
Liquid Funds
Liquid Funds,
Liquid ETF
27.038% = 25%+ 5% (Sur
Charges) + 3% (Cess)
28.325% = 25%+ 10% (Sur Charges)
+ 3% (Cess)
Debt Funds other than
Liquid Funds
Ultra Short Term Funds,
Floating Rate Funds,
Short Term Income,
Dynamic Income,
Income Funds and
Gilt Funds.
Hybrid - Debt Oriented (less than 65% equity),
MIP,
FMPs,
13.519% = 12.5%+ 5% (Sur
Charges) + 3% (Cess)
28.325% = 25%+ 10% (Sur Charges)
+ 3% (Cess)
Impact: This move will make dividend option in Debt Mutual Funds unattractive for Individual & HUF investors. Because the net post tax
return in the hands of the investors from dividend plans would be lower as the DDT charged on the debt funds has been increased from
12.5% to 25% (plus surcharge and cess). Apparently, the categories MIP and Ultra Short Term Funds will also be affected due to the
move. Investors who depend on dividend income would have invested with MIP categories (in most of the cases). And, the Ultra Short
Term category is treated as substitute to liquid funds for their tax efficiencies (hence, both are having similar investment strategy).
The following are the some of other feasible options available for individual and HUF investors post the change in DDT
structure in debt mutual funds:
1. Dividend option is still attractive but less than earlier: Though there is an increase in the DDT, Dividend plans in the Debt
schemes are still attractive for investors who fall under the higher tax slab of 30%. They still give higher post-tax returns than similar
products such as bank fixed deposits. In the Dividend option of debt funds, an investor has to pay the tax of 28.325% while in Bank
Fixed deposit, he has to pay 30%+surcharge (if taxable income is more than Rs.1 cr) +cess.
Taxable Income upto Rs 1 crore Taxable Income exceeds Rs 1 crore
Particular
Fixed Deposit
MF Dividend
Option
Fixed Deposit
MF Dividend
Option
Assumed rate of return from the investment (%) p.a 9% 9% 9% 9%
Income tax rate 30.90% NA 33.99% NA
Dividend Distribution Tax NA 28.33% NA 28.33%
Effective post tax yields 6.22% 6.45% 5.94% 6.45%
Retail Research 2
2. Long Term Capital Gain benefit in Growth option: Growth option in Debt Mutual Funds is attractive if the units are redeemed after
a year of purchase. Gains thereon are liable to be taxed as Long Term Capital Gains @ lesser of 10% without indexation or 20% with
indexation (plus education cess). The option of 20% (with indexation) is available only if the mutual fund scheme is listed on the stock
exchanges. Hence, the growth option of Debt funds continues to remain the best bet for anyone who wants to accumulate wealth to
meet long-term goals.
Since the DDT is applicable for Dividend plans, Capital Gains tax is applicable to Growth plans. The gains from the debt mutual scheme
(growth option) are taxed depending on the period the investments in the mutual funds are kept. If the debt mutual fund units are
redeemed after a year, then the gains thereon are liable to Long Term Capital Gain tax while the proceeds from the investments which
redeemed before one year are taxed as Short Term Capital Gain. Short term Capital Gains are taxable at the normal tax slab rate of the
investor. For long term capital gains in listed debt funds, the investor has to pay the tax @ lesser of 10% without indexation or 20% with
indexation; (plus education cess). Short Term Capital Gain is taxed as per the normal slab of the investors.
Income upto Rs 1 crore Income exceeds Rs 1 crore
Mutual Fund Mutual FundParticular
Fixed
Deposit Growth
Option
Dividend
Option
Fixed
Deposit Growth
Option
Dividend
Option
Assumed rate of return from the investment (%) p.a 9% 9% 9% 9% 9% 9%
Income tax rate 30.90% 10.30% NA 33.99% 11.33% NA
Dividend Distribution Tax NA NA 28.33% NA NA 28.33%
Effective post tax yields (lumpsum withdrawal after a year) 6.22% 8.07% 6.45% 5.94% 7.98% 6.45%
3. Systematic Withdrawal Plans (SWP): Investors who need regular income can consider investing in debt mutual fund categories by
opting for Systematic Withdrawal Plan (SWP). The SWP facility allows to withdraw a fixed sum in regular intervals for specified time
period or till the corpus becomes zero. SWP allows investors to withdraw from the funds after one year from the date of allotment of the
units. The 1 year lock in also results in concessional tax levy of Capital Gains tax (discussed in 2 above).
Investors looking for income at periodical intervals usually invest in these funds. Often, a systematic withdrawal plan is used to fund
expenses during retirement.
Under SWP, withdrawals can be fixed or variable amounts at regular intervals. These withdrawals can be made on a monthly, quarterly,
semi-annual or annual schedule. The holder of the plan may choose withdrawal intervals based on his or her commitments and needs.
SWP is usually available in two options:
• Fixed Withdrawal: Under this you specify amount you wish to withdraw from your investment on a monthly/quarterly basis.
• Appreciation Withdrawal: Under this you can withdraw your appreciated amount on a monthly/quarterly basis.
SWP in debt mutual funds is tax efficient option in comparison to other options such as Bank and Corporate Fixed Deposits. The tax
liability in SWP is lower than that of bank FDs (with the caveat that withdrawals can begin only after a year to avail concessional tax
treatment). The applicable tax rate (for the investor who belongs to 30% tax bracket) on the income from SWP is 10.3% or 20% (with
indexation), which is lower than the applicable tax rate of 30.9% in Bank FDs. The option of 20% (with indexation) is available only if the
mutual fund scheme is listed on the stock exchanges. A comparative study in the monthly withdrawals from the investments in debt
fund (through SWP) and Bank FD for the period of three years clearly shows that SWP is more tax efficient than Bank FDs. The
effective post tax yield (on 9% gross return bearing instruments) that an investor gets from SWP option is close to 8.02% while from the
Bank FD is around 6.40%. Further, no TDS is applicable in SWP withdrawals but it is applicable in Bank FDs for interest above a
certain limit.
4. Bonus stripping: Bonus stripping is one of the other ways to save tax. In this, an investor can set off his capital gains against the
losses arising out of bonus stripping. This involves transactions such as investing in bonus plan of a debt mutual fund schemes before
the record date, selling the original units and bonus units at different timeframes resulting in short term capital loss and long term capital
gain.
The Section 94(8) of the Income tax Act reads as under:
“ Where—
(a) any person buys or acquires any units within a period of three months prior to the record date;
(b) such person is allotted additional units without any payment on the basis of holding of such units on such date;
(c) such person sells or transfers all or any of the units referred to in clause (a) within a period of nine months after such date,
while continuing to hold all or any of the additional units referred to in clause (b),
then, the loss, if any, arising to him on account of such purchase and sale of all or any of such units shall be ignored for the purposes of
computing his income chargeable to tax and notwithstanding anything contained in any other provision of this Act, the amount of loss so
ignored shall be deemed to be the cost of purchase or acquisition of such additional units referred to in clause (b) as are held by him on
the date of such sale or transfer.
Retail Research 3
Mutual Fund Units Stripping means after the units of a mutual fund are purchased, the mutual fund allots bonus units to the holder of
the units, and after receiving the additional units, the original units are sold. Usually after the declaration of bonus units, the NAV of the
mutual fund will decline proportionately. Hence, on sale of the original units, short-term capital loss will arise. Subject to provisions of
section 94(8) referred to above, that loss can be set off against the other short-term capital gains or against a taxable long-term capital
gain. This will thus result into no commercial loss but only tax loss and therefore there would be a tax benefit.
On sale of bonus units of equity-oriented mutual fund after a period of 12 months, the gain, if any, will be treated as long-term capital
gains and the same is taxable @ 10% (without indexation) + surcharge/cess as may be applicable.
The benefit of bonus stripping is apparent from the following table:
Particulars
Calculation based on the
assumption that the original units
are sold post 9 months of record
date of Bonus and the bonus units
are sold after 1 year
Calculation based on the
assumption that the original units
are sold prior to 9 months of
record date of Bonus and the
bonus units are sold after 1 year
Date 5-Feb-13 5-Feb-13
Amount Invested 1,000 1,000
Present NAV (bonus option) 18.0492 18.0492
No. of Original Units 55 55
Bonus Date 22-Feb-13 22-Feb-13
Days Invested from date of acquisition 17 17
Bonus proposed 3:5 3:5
Rate of Return Assumed 9% 9%
NAV on the date of Bonus 18.1218 18.1218
No. of Bonus Units 33 33
NAV post Bonus 11.3261 11.3261
Redemption Date of original units 29-Nov-13 1-Mar-13
Days Invested from date of bonus 280 7
NAV as on date of Redemption 12.1002 11.3448
Applicable Exit Load 0% 0%
Applicable NAV post exit load 12.1002 11.3448
Redemption of original units 670.4 628.55
Loss created by sale of original units post Bonus 329.6 371.45
Short-Term Capital Gains Rate 30.90% -
Amount Saved due to the exercise 101.85 -
Next Redemption for the bonus units 27-Feb-14 27-Feb-14
No. of days bonus units are held 370 370
NAV at time of redemption of bonus units 12.3601 12.3601
Redemption value & Long-term Capital gains on the Bonus units 410.88 407.8833
Loss created by sale of original units (cost of acquisition of bonus
units)
- 371.45
Capital Gain - 36.43
Long-term capital gains rate 10.30% 10.30%
Tax on long-term capital gains 42.32 3.75
Cash-flow 1,140.80 1,032.68
XIRR (post tax) 15.86% 7.47%
Note:
The above table is based on the assumption that:
• The income earned by the scheme is 9% p.a.
• Bonus is declared by the scheme in the ratio of 3:5. If the ratio is smaller the IRR will tend to fall as the tax benefit of short term capital loss will be smaller.
• Bonus is declared soon after the investment in original units.
• Bonus units are sold on completion of 1 year from allotment of Bonus units.
• The calculation will remain the same whether the units of the scheme are listed on the stock exchange or not.
• The calculation is made for an investor who earns taxable income of less than Rs.1 cr.
In India, there are 19 Fund houses float bonus option on their debt category schemes. Fund houses like DWS, Franklin Templeton, JM,
JP Morgan, Mirae Asset, PineBridge, Pramerica, Religare, Reliance and Sundaram have bonus option for most of their debt schemes
while the rest have bonus option in one or two schemes. However there is no regular interval seen on declaring bonus on those
schemes.
Given the increase in the DDT on debt mutual fund schemes, more AMCs could come up with bonus options in their debt schemes and
could use this option more often and regularly going forward.
Retail Research 4
Analyst: Dhuraivel Gunasekaran
RETAIL RESEARCH Fax: (022) 3075 3435
Corporate Office: HDFC Securities Limited, I Think Techno Campus, Building –B, ”Alpha”, Office Floor 8, Near Kanjurmarg Station, Opp. Crompton
Greaves, Kanjurmarg (East), Mumbai 400 042 Fax: (022) 30753435 Website: www.hdfcsec.com
Disclaimer: Mutual Funds investments are subject to risk. Past performance is no guarantee for future performance. This document has been prepared
by HDFC Securities Limited and is meant for sole use by the recipient and not for circulation. This document is not to be reported or copied or made
available to others. It should not be considered to be taken as an offer to sell or a solicitation to buy any security. The information contained herein is
from sources believed reliable. We do not represent that it is accurate or complete and it should not be relied upon as such. We may have from time to
time positions or options on, and buy and sell securities referred to herein. We may from time to time solicit from, or perform investment banking, or
other services for, any company mentioned in this document. This report is intended for non-Institutional Clients.

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Change in DDT on debt mf schemes from june 2013 onwards – How to cope!

  • 1. Retail Research 1 Change in DDT on Debt MF schemes from June 2013 onwards – How to cope May 17, 2013 From 1st June, 2013 onwards, the dividends declared by all the debt oriented mutual funds for Individual & HUF investors will be attracting a uniform rate of Dividend Distribution Tax (DDT) of 25% (plus surcharge and cess wherever applicable). Further, the surcharge on Dividend Distribution Tax for all mutual fund schemes has also been hiked from 5% to 10%. As per the existing structure, Liquid Funds are liable to pay the DDT of 25% (plus surcharge and cess) for such investors while the funds other than Liquid funds (such as Ultra Short term, Short Term, Income, Gilt, MIP and so on) are liable to pay DDT of 12.5% (plus surcharge and cess). The hike is proposed by the Finance Minister in the Union Budget FY14 to provide uniform taxation of DDT for all types of investors as far as debt oriented funds are concerned. On the other hand, partnerships and corporates have been paying DDT of 30% (plus surcharge and cess) from the dividends from the investments in all debt funds (including Liquid funds). As per the tax provision on the distributed income, fund houses pay taxes on the dividend distributed to the investors. Fund houses deduct DDT from the Dividend. So the net dividends are tax free in the hands of investors. It is to be noted that there is no tax levied on the dividend distributed by Equity oriented mutual fund schemes for any investors. The below table summarizes the changes proposed in the Union Budget on DDT for the Individual & HUF investors. For Individuals and HUF investors: Classification Categories Existing Proposed (From June 01, 2013) Equity Funds Equity Diversified, Equity Sector, Hybrid - Equity Oriented (more than 65% equity), Arbitrage Funds NIL NIL Liquid Funds Liquid Funds, Liquid ETF 27.038% = 25%+ 5% (Sur Charges) + 3% (Cess) 28.325% = 25%+ 10% (Sur Charges) + 3% (Cess) Debt Funds other than Liquid Funds Ultra Short Term Funds, Floating Rate Funds, Short Term Income, Dynamic Income, Income Funds and Gilt Funds. Hybrid - Debt Oriented (less than 65% equity), MIP, FMPs, 13.519% = 12.5%+ 5% (Sur Charges) + 3% (Cess) 28.325% = 25%+ 10% (Sur Charges) + 3% (Cess) Impact: This move will make dividend option in Debt Mutual Funds unattractive for Individual & HUF investors. Because the net post tax return in the hands of the investors from dividend plans would be lower as the DDT charged on the debt funds has been increased from 12.5% to 25% (plus surcharge and cess). Apparently, the categories MIP and Ultra Short Term Funds will also be affected due to the move. Investors who depend on dividend income would have invested with MIP categories (in most of the cases). And, the Ultra Short Term category is treated as substitute to liquid funds for their tax efficiencies (hence, both are having similar investment strategy). The following are the some of other feasible options available for individual and HUF investors post the change in DDT structure in debt mutual funds: 1. Dividend option is still attractive but less than earlier: Though there is an increase in the DDT, Dividend plans in the Debt schemes are still attractive for investors who fall under the higher tax slab of 30%. They still give higher post-tax returns than similar products such as bank fixed deposits. In the Dividend option of debt funds, an investor has to pay the tax of 28.325% while in Bank Fixed deposit, he has to pay 30%+surcharge (if taxable income is more than Rs.1 cr) +cess. Taxable Income upto Rs 1 crore Taxable Income exceeds Rs 1 crore Particular Fixed Deposit MF Dividend Option Fixed Deposit MF Dividend Option Assumed rate of return from the investment (%) p.a 9% 9% 9% 9% Income tax rate 30.90% NA 33.99% NA Dividend Distribution Tax NA 28.33% NA 28.33% Effective post tax yields 6.22% 6.45% 5.94% 6.45%
  • 2. Retail Research 2 2. Long Term Capital Gain benefit in Growth option: Growth option in Debt Mutual Funds is attractive if the units are redeemed after a year of purchase. Gains thereon are liable to be taxed as Long Term Capital Gains @ lesser of 10% without indexation or 20% with indexation (plus education cess). The option of 20% (with indexation) is available only if the mutual fund scheme is listed on the stock exchanges. Hence, the growth option of Debt funds continues to remain the best bet for anyone who wants to accumulate wealth to meet long-term goals. Since the DDT is applicable for Dividend plans, Capital Gains tax is applicable to Growth plans. The gains from the debt mutual scheme (growth option) are taxed depending on the period the investments in the mutual funds are kept. If the debt mutual fund units are redeemed after a year, then the gains thereon are liable to Long Term Capital Gain tax while the proceeds from the investments which redeemed before one year are taxed as Short Term Capital Gain. Short term Capital Gains are taxable at the normal tax slab rate of the investor. For long term capital gains in listed debt funds, the investor has to pay the tax @ lesser of 10% without indexation or 20% with indexation; (plus education cess). Short Term Capital Gain is taxed as per the normal slab of the investors. Income upto Rs 1 crore Income exceeds Rs 1 crore Mutual Fund Mutual FundParticular Fixed Deposit Growth Option Dividend Option Fixed Deposit Growth Option Dividend Option Assumed rate of return from the investment (%) p.a 9% 9% 9% 9% 9% 9% Income tax rate 30.90% 10.30% NA 33.99% 11.33% NA Dividend Distribution Tax NA NA 28.33% NA NA 28.33% Effective post tax yields (lumpsum withdrawal after a year) 6.22% 8.07% 6.45% 5.94% 7.98% 6.45% 3. Systematic Withdrawal Plans (SWP): Investors who need regular income can consider investing in debt mutual fund categories by opting for Systematic Withdrawal Plan (SWP). The SWP facility allows to withdraw a fixed sum in regular intervals for specified time period or till the corpus becomes zero. SWP allows investors to withdraw from the funds after one year from the date of allotment of the units. The 1 year lock in also results in concessional tax levy of Capital Gains tax (discussed in 2 above). Investors looking for income at periodical intervals usually invest in these funds. Often, a systematic withdrawal plan is used to fund expenses during retirement. Under SWP, withdrawals can be fixed or variable amounts at regular intervals. These withdrawals can be made on a monthly, quarterly, semi-annual or annual schedule. The holder of the plan may choose withdrawal intervals based on his or her commitments and needs. SWP is usually available in two options: • Fixed Withdrawal: Under this you specify amount you wish to withdraw from your investment on a monthly/quarterly basis. • Appreciation Withdrawal: Under this you can withdraw your appreciated amount on a monthly/quarterly basis. SWP in debt mutual funds is tax efficient option in comparison to other options such as Bank and Corporate Fixed Deposits. The tax liability in SWP is lower than that of bank FDs (with the caveat that withdrawals can begin only after a year to avail concessional tax treatment). The applicable tax rate (for the investor who belongs to 30% tax bracket) on the income from SWP is 10.3% or 20% (with indexation), which is lower than the applicable tax rate of 30.9% in Bank FDs. The option of 20% (with indexation) is available only if the mutual fund scheme is listed on the stock exchanges. A comparative study in the monthly withdrawals from the investments in debt fund (through SWP) and Bank FD for the period of three years clearly shows that SWP is more tax efficient than Bank FDs. The effective post tax yield (on 9% gross return bearing instruments) that an investor gets from SWP option is close to 8.02% while from the Bank FD is around 6.40%. Further, no TDS is applicable in SWP withdrawals but it is applicable in Bank FDs for interest above a certain limit. 4. Bonus stripping: Bonus stripping is one of the other ways to save tax. In this, an investor can set off his capital gains against the losses arising out of bonus stripping. This involves transactions such as investing in bonus plan of a debt mutual fund schemes before the record date, selling the original units and bonus units at different timeframes resulting in short term capital loss and long term capital gain. The Section 94(8) of the Income tax Act reads as under: “ Where— (a) any person buys or acquires any units within a period of three months prior to the record date; (b) such person is allotted additional units without any payment on the basis of holding of such units on such date; (c) such person sells or transfers all or any of the units referred to in clause (a) within a period of nine months after such date, while continuing to hold all or any of the additional units referred to in clause (b), then, the loss, if any, arising to him on account of such purchase and sale of all or any of such units shall be ignored for the purposes of computing his income chargeable to tax and notwithstanding anything contained in any other provision of this Act, the amount of loss so ignored shall be deemed to be the cost of purchase or acquisition of such additional units referred to in clause (b) as are held by him on the date of such sale or transfer.
  • 3. Retail Research 3 Mutual Fund Units Stripping means after the units of a mutual fund are purchased, the mutual fund allots bonus units to the holder of the units, and after receiving the additional units, the original units are sold. Usually after the declaration of bonus units, the NAV of the mutual fund will decline proportionately. Hence, on sale of the original units, short-term capital loss will arise. Subject to provisions of section 94(8) referred to above, that loss can be set off against the other short-term capital gains or against a taxable long-term capital gain. This will thus result into no commercial loss but only tax loss and therefore there would be a tax benefit. On sale of bonus units of equity-oriented mutual fund after a period of 12 months, the gain, if any, will be treated as long-term capital gains and the same is taxable @ 10% (without indexation) + surcharge/cess as may be applicable. The benefit of bonus stripping is apparent from the following table: Particulars Calculation based on the assumption that the original units are sold post 9 months of record date of Bonus and the bonus units are sold after 1 year Calculation based on the assumption that the original units are sold prior to 9 months of record date of Bonus and the bonus units are sold after 1 year Date 5-Feb-13 5-Feb-13 Amount Invested 1,000 1,000 Present NAV (bonus option) 18.0492 18.0492 No. of Original Units 55 55 Bonus Date 22-Feb-13 22-Feb-13 Days Invested from date of acquisition 17 17 Bonus proposed 3:5 3:5 Rate of Return Assumed 9% 9% NAV on the date of Bonus 18.1218 18.1218 No. of Bonus Units 33 33 NAV post Bonus 11.3261 11.3261 Redemption Date of original units 29-Nov-13 1-Mar-13 Days Invested from date of bonus 280 7 NAV as on date of Redemption 12.1002 11.3448 Applicable Exit Load 0% 0% Applicable NAV post exit load 12.1002 11.3448 Redemption of original units 670.4 628.55 Loss created by sale of original units post Bonus 329.6 371.45 Short-Term Capital Gains Rate 30.90% - Amount Saved due to the exercise 101.85 - Next Redemption for the bonus units 27-Feb-14 27-Feb-14 No. of days bonus units are held 370 370 NAV at time of redemption of bonus units 12.3601 12.3601 Redemption value & Long-term Capital gains on the Bonus units 410.88 407.8833 Loss created by sale of original units (cost of acquisition of bonus units) - 371.45 Capital Gain - 36.43 Long-term capital gains rate 10.30% 10.30% Tax on long-term capital gains 42.32 3.75 Cash-flow 1,140.80 1,032.68 XIRR (post tax) 15.86% 7.47% Note: The above table is based on the assumption that: • The income earned by the scheme is 9% p.a. • Bonus is declared by the scheme in the ratio of 3:5. If the ratio is smaller the IRR will tend to fall as the tax benefit of short term capital loss will be smaller. • Bonus is declared soon after the investment in original units. • Bonus units are sold on completion of 1 year from allotment of Bonus units. • The calculation will remain the same whether the units of the scheme are listed on the stock exchange or not. • The calculation is made for an investor who earns taxable income of less than Rs.1 cr. In India, there are 19 Fund houses float bonus option on their debt category schemes. Fund houses like DWS, Franklin Templeton, JM, JP Morgan, Mirae Asset, PineBridge, Pramerica, Religare, Reliance and Sundaram have bonus option for most of their debt schemes while the rest have bonus option in one or two schemes. However there is no regular interval seen on declaring bonus on those schemes. Given the increase in the DDT on debt mutual fund schemes, more AMCs could come up with bonus options in their debt schemes and could use this option more often and regularly going forward.
  • 4. Retail Research 4 Analyst: Dhuraivel Gunasekaran RETAIL RESEARCH Fax: (022) 3075 3435 Corporate Office: HDFC Securities Limited, I Think Techno Campus, Building –B, ”Alpha”, Office Floor 8, Near Kanjurmarg Station, Opp. Crompton Greaves, Kanjurmarg (East), Mumbai 400 042 Fax: (022) 30753435 Website: www.hdfcsec.com Disclaimer: Mutual Funds investments are subject to risk. Past performance is no guarantee for future performance. This document has been prepared by HDFC Securities Limited and is meant for sole use by the recipient and not for circulation. This document is not to be reported or copied or made available to others. It should not be considered to be taken as an offer to sell or a solicitation to buy any security. The information contained herein is from sources believed reliable. We do not represent that it is accurate or complete and it should not be relied upon as such. We may have from time to time positions or options on, and buy and sell securities referred to herein. We may from time to time solicit from, or perform investment banking, or other services for, any company mentioned in this document. This report is intended for non-Institutional Clients.