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  1. NTU Theses and Dissertations Repository
  2. 管理學院
  3. 財務金融學系
請用此 Handle URI 來引用此文件: http://tdr.lib.ntu.edu.tw/jspui/handle/123456789/30820
完整後設資料紀錄
DC 欄位值語言
dc.contributor.advisor陳明賢(Mingshen Chen)
dc.contributor.authorAhmed Mokhtar Saiden
dc.contributor.author艾赫默德zh_TW
dc.date.accessioned2021-06-13T02:16:57Z-
dc.date.available2007-02-27
dc.date.copyright2007-02-27
dc.date.issued2007
dc.date.submitted2007-02-09
dc.identifier.citationThe Holy Qur’an
Abdul Kader Thomas (2000), ‘The Islamic Perspective’, New Horizons, No.100,
Institute of Islamic Banking and Insurance, London. p13-87.
Abu Saud, Mahmoud (1976), ‘The Theory of Economics of Islam: Philosophy,
Concepts and Suggestions’. Bloomington, IN: The Muslim Student’s Association.
p15-28
Ahmed Ziauddin, Munawar Iqbal and M. Fahim Khan (1993). Money and
Banking in Islam. Jeddah: International Center for Research in Islamic
Economics, King Abdul Aziz University and Institute of Policy Studies. p57-96
Al-Suwailem, Sami (1998). “Venture Capital: A Potential Model of musharaka”.
Journal of King Abdul Aziz University. p3-43
Anwar, Muhammad (1987). ‘Islamic Justice in a Monetary System: A Modest
Proposal.’ Review Article. The American journal of Islamic Social Sciences.p127-
135
BenDjilali, Boulem and Khan (1995), ‘Tariqullah: Economics of Diminishing
musharaka’, Jeddah IRTI. p12-27
Paul Gompers and Josh Lerner (1999), The Venture Capital Cycle, The MIT
press
Rifaat Abdul Karim and Simon Archer (2006), ‘Islamic Finance: Innovation and
Growth’. Euromoney Books, London. p76-111
Rodney Wilson (2005), ‘Screening criteria for Islamic equity funds’, University of
Durham, Institute of Middle Eastern and Islamic Studies, Durham. Euromoney
Books. p3-7
Wahba Al-Zuhayli (2003), Financial Transactions in Islamic Jurisprudence Vol. I
&II, Dar al-Fikr, Syria.
dc.identifier.urihttp://tdr.lib.ntu.edu.tw/jspui/handle/123456789/30820-
dc.description.abstractThe recent surge of the oil prices, the post 9/11 effects on the world political and economical landscapes and the aggressive growth of the emerging Chinese economy pushed the Muslim investors to think of an alternative destination for their growing capital; The Greater China. There is a promising opportunity for an investment flow from the Middle East to China, but there are many obstacles can slow down this flow, and the major one is the absence of any Islamic investment products to cater for the Islamic institutional investors as well
as the HNWI. Most of the Muslims prefer to invest in an Islamic-compliant manner which differs from the conventional investment strategies and products.
This research finds that, a result to the religious constrains, direct investing and private equity investing are the most desired forms of investments for the Muslim
investors due to the flexibility and degree of investors’ involvement in the investment portfolio. Therefore, this research explores the Private Equities and Venture Capital markets in China and introduces models for developing Islamic Private Equity and Venture Capital funds which can cater to both Muslim and conventional investors in any non-Muslim country and will help China to attract more capital from the oil rich Muslim countries.
en
dc.description.provenanceMade available in DSpace on 2021-06-13T02:16:57Z (GMT). No. of bitstreams: 1
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Previous issue date: 2007
en
dc.description.tableofcontentsChapter 1: Introduction································································ 1
1.1 China and the G.C.C·······························································1
1.2 Gulf investors and China market’s entry barriers ·······························3
1.3 The Islamic Finance: Challenges & Opportunities ·····························4
1.4 The organization of this thesis····················································4
Chapter 2: Fundamentals of Islamic Finance·····································6
2.1 Introduction ········································································6
2.2 The Shari’a Islamic Law ···························································7
2.3 The history of Islamic Finance ···················································8
2.4 The definition of Islamic Finance ················································9
2.5 The seven main principles of Islamic Finance ································ 10
2.5.1 Justice, Equality and Solidarity ··········································· 10
2.5.2 Forbidden Objects and Creatures········································ 10
2.5.3 Acquisition of Property Rights ··········································· 11
2.5.4 Usage of Properties························································ 11
2.5.5 No Gain Without Either Efforts or Liabilities ························· 11
2.5.6 General Conditions of Credit ············································ 13
2.5.7 The Duality of Risk························································ 13
2.6 Most important rules for the Islamic Finance································· 14
2.6.1 The prohibition of Riba (interest) ········································ 14
2.6.1.1 Riba in Sales ······················································· 14
2.6.1.2 Riba in Debts ······················································ 15
2.6.2 Profit and Loss Sharing and three important types of contracts······ 15
2.6.2.1 PLS financing contracts ·········································· 16
2.6.2.1.1 Joint Ventures (musharaka)····························· 16
2.6.2.1.2 Trust financing (mudaraba) ····························· 16
2.6.2.2 Non-PLS financing contracts···································· 17
2.7 Securities in Islam Finance ······················································ 17
2.8 Risk management in Islamic Finance ·········································· 18
2.9 The Islamic Law and the future of Islamic Finance ·························· 19
Chapter 3: Guidelines for Islamic Asset Management ························ 20
3.1 Introduction ······································································ 20
3.2 Islamic Investment Funds······················································· 21
3.3 Definition and asset classes ····················································· 22
3.4 Structure ·········································································· 23
3.5 Shari’a supervisory board ························································ 26
3.6 Investment selection ····························································· 27
3.6.1 Qualitative criteria ························································· 28
3.6.2 Quantitative criteria ······················································· 29
3.7 Purification of earnings·························································· 31
3.8 Trading issues····································································· 32
3.9 Conclusion········································································ 34
Chapter 4: Private Equity and Islamic Finance ································ 36
4.1 Introduction ······································································ 36
4.2 The allocation decision ·························································· 36
4.3 Private equity investment and Islam ··········································· 37
4.4 General features of PE/VC investments ······································ 38
4.5 The incentives of private equity investment··································· 40
4.6 Methods of participation ························································ 41
4.7 Choice of funds ·································································· 42
4.7.1 Direct investing ···························································· 44
4.7.2 Funds-of-funds ···························································· 45
4.7.3 Private equity funds ······················································· 46
4.7.4 Buyout funds······························································· 47
4.7.5 Emerging markets ························································· 48
4.7.6 E-business ·································································· 49
4.7.7 Biotechnology/life sciences ·············································· 50
4.8 Private equity and Shari’a ························································ 50
4.9 Conclusion········································································ 51
Chapter 5: Models for developing Shari’a-compliant private equity and
venture capital funds ··················································· 53
5.1 Introduction ······································································ 53
5.2 Investee assessment······························································ 57
5.3 Important design variables and common considerations ···················· 60
5.3.1 Choice of fund domicile ·················································· 61
5.3.2 Choice of entity type ······················································ 61
5.3.3 Choice of service providers··············································· 61
5.3.4 Choice of capital structure and securities ······························· 62
5.3.5 Cash management ························································· 63
5.3.6 Corporate governance of funds and SPVs······························ 64
5.3.7 Investment sourcing and deal flow ······································ 66
5.3.8 Limited partner opt-out clause ··········································· 66
5.4 The Models ······································································· 67
5.4.1 Model 1 ····································································· 69
5.4.2 Model 2a···································································· 73
5.4.3 Model 2b ··································································· 77
5.4.4 Model 3 ····································································· 81
5.5 Case study: Big Tree ····························································· 84
5.6 Conclusion········································································ 87
Chapter 6: The future of China’s Private Equities and Venture Capital
markets ················································································· 89
6.1 Introduction ······································································ 89
6.2 History of PE/VC in China····················································· 90
6.3 The current environment for PE/VC investments in China
and a comparison between Chinese and international
practices ·········································································· 93
6.4 The future of PE/VC in China: Opportunities and
Challenges ········································································ 97
6.4.1 The gap between banks and stock markets ····························· 99
6.4.2 The search for investment targets······································· 102
6.4.3 The local competition ···················································· 103
6.4.4 Growth opportunities ···················································· 105
6.4.5 Offshore investment structures ········································· 107
6.4.6 Onshore investment structures ········································· 108
6.4.7 Exit strategies ····························································· 109
6.4.8 Redemption ······························································· 111
6.4.9 Tax on sales proceeds ···················································· 112
6.5 Conclusion······································································· 112
Chapter 7: Conclusion ······························································ 114
References············································································· 117
Appendix A: Islamic Financial Institutions by Country ·························· 118
Appendix B: Conventional banks offering Islamic financial
services ································································ 122
Appendix C: Specimen investment memorandum ······························· 124
dc.language.isoen
dc.subject中小企業公平性zh_TW
dc.subject中東金融zh_TW
dc.subject風險資本zh_TW
dc.subject中東zh_TW
dc.subject投資zh_TW
dc.subject大中華市場zh_TW
dc.subjectGreater China Marketen
dc.subjectG.C.Cen
dc.subjectInvestmentsen
dc.subjectPrivate Equityen
dc.subjectIslamic Financeen
dc.subjectMiddle Easten
dc.subjectVenture Capitalen
dc.title中東中小企業公平性與風險資本投資:對大中華市場分析之案例zh_TW
dc.titleISLAMIC PRIVATE EQUITY AND VENTURE CAPITAL INVESTMENTS: A WINDOW OF OPPORTUNITIES FOR THE CHINESE MARKETen
dc.typeThesis
dc.date.schoolyear95-1
dc.description.degree碩士
dc.contributor.oralexamcommittee蘇永成(yong-chern Su),盧信昌(Lu, Hsin-Chang)
dc.subject.keyword中東金融,中小企業公平性,風險資本,中東,投資,大中華市場,zh_TW
dc.subject.keywordIslamic Finance,Private Equity,Venture Capital,Middle East,Investments,G.C.C,Greater China Market,en
dc.relation.page148
dc.rights.note有償授權
dc.date.accepted2007-02-09
dc.contributor.author-college管理學院zh_TW
dc.contributor.author-dept財務金融學研究所zh_TW
顯示於系所單位:財務金融學系

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