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Fertilizer Sector reforms – NBS, bio-fertilizers, Neem coating, etc.

The cost of controls on the fertiliser industry

Why in the News?

The Uttar Pradesh government has prohibited urea manufacturers and suppliers from selling “gair-anudaanit” (non-subsidised) fertilisers in the state. The order affects cooperative, public, and private firms.

The action follows allegations of “tagging,” wherein farmers were allegedly compelled to purchase non-subsidised products along with subsidised fertilisers. However, the non-subsidised segment constitutes only 0.4 million tonnes annually, compared to India’s 67 million tonnes total fertiliser market, making the regulatory response appear disproportionate in scale.

What is the Structure of the Fertiliser Industry in India

  1. High Regulatory Intensity: One of the most regulated industries in India.
  2. Core Products: Urea, Di-Ammonium Phosphate (DAP), Muriate of Potash (MOP), NPK complexes.
  3. Statutory Framework: Governed under Fertiliser Control Order (FCO), 1985.
  4. Administered Pricing: Urea MRP fixed at same level since November 2012.
  5. Subsidy Regime: P&K fertilisers operate under Nutrient-Based Subsidy (NBS) with capped retail pricing.
  6. Decontrol Paradox: Though labelled “decontrolled,” effective price and profit oversight continues through subsidy-linked conditions.

How has fertiliser consumption and import dependence evolved?

  1. Rising Consumption: Total consumption increased significantly over recent years, reaching 67 million tonnes (2024-25).
  2. Urea Dominance: Urea consumption significantly exceeds P&K usage due to lower administered prices.
  3. Import Dependence: High import reliance for phosphatic and potassic fertilisers increases vulnerability to global price volatility.
  4. Price Differential: DAP priced at ₹27/kg and MOP at ₹19.40/kg under subsidy regime; non-subsidised variants priced substantially higher.
  5. Nutrient Imbalance: Excessive nitrogen usage distorts soil health due to price asymmetry.

How does the fertiliser price control regime operate under the Fertiliser Control Order (FCO), 1985?

  1. Statutory Control: Operates under the Fertiliser Control Order, 1985 issued under the Essential Commodities Act framework.
  2. Administered Pricing: Fixes Maximum Retail Price (MRP) of urea at ₹266.5 per 45 kg bag.
  3. Subsidy Mechanism: Compensates manufacturers for cost-production gap through Direct Benefit Transfer (DBT) to companies.
  4. Input Regulation: Controls MRP of urea; phosphatic and potassic (P&K) fertilisers operate under Nutrient-Based Subsidy (NBS) scheme.
  5. Movement Control: Allocates fertiliser supply across states based on assessed demand.

Is the fertiliser sector truly decontrolled, or does effective government control persist?

The fertilizer sector operates under the Fertiliser Control Order, 1985 issued under the Essential Commodities Act framework.

  1. Profit Oversight: Department of Fertilisers can recover subsidy if “unreasonable profit” is detected.
  2. Conditional Decontrol: Companies cannot freely price products without risking subsidy clawback.
  3. Operational Dependence: Business viability tied to state reimbursement mechanisms.

How does state control extend beyond pricing into movement and distribution?

  1. Agreed Supply Plan: Department of Fertilisers prepares state-wise, season-wise, month-wise allocation.
  2. Railway Rake Planning: Dispatches governed by official rail and road movement schedules.
  3. District Allocation: Agriculture officers allocate fertiliser dealer-wise upon arrival.
  4. FOR Basis Delivery: Companies must supply on freight-on-road basis.
  5. Limited Commercial Autonomy: Private firms cannot independently determine timing, quantity, or geography of sales.

Does price control ensure equity or generate inefficiency in fertiliser distribution?

  1. Affordability Objective: Ensures low input costs for farmers, supporting food security.
  2. Fiscal Burden: Expands fertiliser subsidy bill significantly; recurrent pressure on Union Budget.
  3. Inefficient Usage: Encourages overuse of subsidised urea due to artificially low prices.
  4. Leakages and Diversion: Facilitates diversion for industrial use or cross-border smuggling.
  5. Soil Degradation: Skews NPK ratio, affecting long-term soil productivity.

What economic role do non-subsidised fertilisers play in the industry’s survival model?

  1. Cross-Subsidisation Mechanism: Higher margins from speciality nutrients offset thin margins from urea.
  2. Capital Recovery: Supports working capital cycles in a subsidy-dependent system.
  3. Innovation Incentive: Enables R&D in micronutrients and water-soluble fertilisers.
  4. Market Size Contrast: 0.4 million tonnes speciality vs 67 million tonnes total market.
  5. Profitability Cushion: Provides financial flexibility under price-capped regime.

What governance concerns arise from restrictions on non-subsidised fertiliser sales?

  1. Market Distortion: Restricting non-subsidised fertiliser sales limits firms’ ability to offset losses from controlled urea pricing.
  2. Investment Sentiment: Reduces profitability of a ₹13,000 crore segment, affecting private sector participation.
  3. Regulatory Overreach: State-level intervention in areas traditionally governed by central FCO raises federal coordination concerns.
  4. Cross-subsidisation Constraint: Prevents companies from leveraging higher-margin non-subsidised products.
  5. Policy Uncertainty: Sudden bans create unpredictability in regulatory environment.

Does price asymmetry distort nutrient usage and environmental sustainability?

  1. Price Signal Distortion: Urea at ₹5.9/kg incentivises excessive nitrogen application.
  2. Nutrient Imbalance: Skews N:P:K ratio in Indian soils.
  3. Soil Health Impact: Degrades soil productivity over time.
  4. High-Value Crop Use: Speciality fertilisers critical for fruits, vegetables, sugarcane.
  5. Environmental Externalities: Overuse contributes to groundwater contamination and emissions.

What are the governance and federalism implications of the UP ban?

  1. Concurrent Jurisdiction: Fertilisers fall under Entry 33, Concurrent List.
  2. Centre-State Overlap: FCO issued by Centre; implementation often state-driven.
  3. Regulatory Fragmentation: State-specific bans risk policy inconsistency.
  4. Investor Sentiment Impact: Capital-intensive industry requires regulatory predictability.
  5. Unintended Consequence Risk: May enable unorganised low-quality suppliers to fill supply gap.

Does heavy subsidy dependence raise fiscal sustainability concerns?

  1. Large Subsidy Outlay: Fertiliser subsidy remains a major budgetary commitment.
  2. Fiscal Trade-offs: Crowds out productive expenditure.
  3. Import Dependence: Raw materials such as phosphate rock and potash largely imported.
  4. Global Price Exposure: Vulnerable to external commodity shocks.
  5. Reform Stagnation: Urea decontrol proposals repeatedly deferred.

Conclusion

India’s fertiliser sector demonstrates the limits of excessive state control in a market critical to food security. While administered pricing and subsidies ensure affordability, layered controls over pricing, movement, and profitability risk distorting nutrient use, weakening industry viability, and discouraging investment. A calibrated approach that rationalises subsidies, restores balanced price signals, and ensures regulatory predictability is essential to align farmer welfare with long-term agricultural sustainability.

PYQ Relevance

[UPSC 2023] What are the direct and indirect subsidies provided to farm sector in India? Discuss the issues raised by the World Trade Organization (WTO) in relation to agricultural subsidies.

Linkage: This question directly links to India’s fertiliser subsidy regime, price controls, and DBT architecture. It also connects to debates on subsidy distortion, fiscal burden, and compliance with the WTO’s Agreement on Agriculture (AoA), especially concerning input subsidies and trade distortion limits.

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