Holding Co-2point2
Holding Co-2point2
Holding Co-2point2
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India has a large number of listed Holding Companies (HoldCos) that hold shares of
other listed and unlisted companies. A large part of the value of these HoldCos
stems from their stakes in other businesses. Globally, HoldCos trade at a discount
to the underlying Net Asset Value (NAV) of their holdings. These discounts tend to
range between 5-20%. HoldCos in India are unique because the HoldCo discount is
sometimes exceptionally high, ranging from 50-80%.
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The quantum of the HoldCo discount varies signi!cantly across companies and
depends on multiple factors. These factors are not necessarily independent and
often impact each other. We will discuss below some of the factors that seem to
have a bearing on the HoldCo discount. Finally, we will discuss the framework that
we use at 2Point2 to invest in HoldCos.
Recent change in dividend taxation has eliminated this leakage. In the new tax
regime, the HoldCo will get full credit for the dividends received from its
underlying holdings if it pays out the same to its shareholders. In this scenario,
it will not have to pay corporate tax on the dividends received. This is
irrespective of the extent of shareholding in the company. In the earlier regime,
one could avoid double taxation only if it held 50%+ stake in the company.
Because of the elimination of the 17% dividend leakage, the HoldCo discount
should have reduced (especially for HoldCos which earlier had high DDT
payouts like Bajaj Holdings and Maharashtra Scooters). Instead, the opposite
happened after the Covid-19 market crash.
Leakage due to Capital Gains: If there is a sale of the underlying holdings, the
HoldCo would need to pay capital gains tax on the gains and the shareholder has
to pay tax on the dividend income (as high as 43% in the highest tax bracket). For
a HoldCo that has large strategic holdings, this discount may not be relevant as a
sale would likely be done in a tax e"cient manner by transferring shares of the
holdings directly to the shareholders (For eg. Thomas Cook India transferring
shares of Quess Corp directly to its shareholders). This would likely be the case
for a Bombay Burmah or Bajaj Holdings which primarily have strategic holdings.
On the other hand, Tata Investment Corporation operates almost like a mutual
fund and has large non-strategic holdings. It buys and sells these stocks every
year incurring capital gains in the process. When these gains are paid out as
dividends or through buyback, it leads to additional tax leakage. The removal of
DDT has increased the tax leakage in such instances for shareholders in the
higher tax brackets.
Poor Capital Allocation: The HoldCo is often not just a shell company. It either
has a business of its own (Operating HoldCo), or it has investments in other
businesses which require periodic infusions of capital. In either of the cases,
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investors of the HoldCo do not get full access to the dividends/capital gains
received from the underlying holdings. The cash#ows may either be used in the
operating business or may be used to make investments in other poor
businesses (through equity or unsecured loans). Let us evaluate two companies
BBTC and HDFC Ltd to understand this point.
While HDFC has investments in many good businesses and is itself a large
NBFC, BBTC has investments in many poor and/or loss-making businesses such
as Aviation, Plantation, Real Estate etc. The below table summarizes the
dividends received from underlying holdings and subsequently paid out to
shareholders in the case of both the companies for FY19 and FY18.
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The investors in BBTC do not get access to the cash#ows of Britannia. The
dividends/capital gains of the ‘good’ business are used to fund other ‘poor’
businesses like Aviation, Plantation, Real Estate business which are assigned an
implied negative value by shareholders. BBTC therefore trades at a whopping
discount of 83%. On the other hand, HDFC Ltd is a pro!table and leading NBFC.
All of its investments are in pro!table market leaders. It not only remits all
dividends of underlying companies but also adds to the dividend pool.
Therefore, the HoldCo discount for HDFC Ltd is estimated to be only 25% which
is one of the lowest among all other HoldCo companies.
Indirect control: The shareholders of a HoldCo do not directly exert control over
the underlying holdings. This may not matter if the incentives of the
shareholders of the HoldCo are aligned with the incentives of the shareholders
of the underlying holdings. For instance, the interest of the shareholders of
Ujjivan Financial (which owns 83% of Ujjivan SFB) is aligned with the shareholders
of the SFB as there is no other business in the HoldCo. The voting on any
corporate action (merger, demerger, acquisition, dividend etc) will not be
counterproductive to the interest of the HoldCo shareholders. HoldCos where
incentives of shareholders are not aligned with majority owners of HoldCo or
minority owners of underlying holdings deserve a higher discount.
The whole is lesser than the sum of the parts: The shareholders of the HoldCo
get exposure to a set of companies in di$erent sectors. Each of those businesses
individually may trade at higher valuations as they each !nd shareholders who
!nd the company and the sector valuable. The HoldCo however trades at a
discount to the sum of the parts as there are only very few investors who
consider all businesses to be attractive enough to invest in them at current
valuations. They therefore apply a discount to one or more of those businesses.
For instance, a value investor who is bullish on the 2W space likes Bajaj Auto and
may be willing to pay 16x P/E to invest in it but he may not like investing in Bajaj
Finance at 5.4x P/BV. Therefore, he would want to buy Bajaj Holdings at a
discount.
Prefer high dividend yield stocks: We prefer HoldCos that pay out the
dividends received from their holdings to their shareholders and have high
dividend yields. A company with a HoldCo discount magni!es the underlying
dividend yield by (1/(1 – HoldCo discount)) times (assuming all dividends that are
received are paid).
For instance, the dividend yield of the underlying holdings of Tata Investment
Corporation is 1.09% but for shareholders of Tata Investment it is 2.62% because of
the 61% HoldCo discount. An investor who owns Tata Investment gets a 1.53%
higher return per annum due to the dividend yield di$erential than by directly
owning the underlying stocks. The compounding bene!t of a 1.53% higher return is
enormous over the long term. In the new tax regime, this is even more attractive
because of the elimination of DDT leakage and expected rise in dividend yields.
The high dividend yield also acts as a force that prevents the discount from
expanding. If the HoldCo discount were to expand, the dividend yield di$erential
would increase making it even more attractive for shareholders of the underlying
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holdings to shift to the HoldCo. As can be seen from the table below, companies
that have high dividend yields do have a lower discount than those that don’t.
It is likely that the elimination of DDT will force many HoldCos to start paying out
dividends received by them to avoid paying the 25% corporate tax on the dividends
received. This could result in the discount narrowing for these HoldCos.
Disclosure: One or more of the HoldCos discussed above are part of 2Point2
Capital’s portfolios.
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