SEBI (Listing Obligations and Disclosure Requirements) Regulations
| Sub clause in SEBI LODR Reg 46 | Description of Item | Remarks for guidance and compliance |
|---|---|---|
| a | Details of Business | View Business Overview |
| j | the email address for grievance redressal and other relevant details; | finance@kaarya.co.in |
| k | the email address for grievance redressal and other relevant details; |
finance@kaarya.co.in anuja.more@sarkcs.in |
| I | financial information including:
|
Financial Statement OR Download from BSE |
| m | Shareholding Pattern | Download from BSE |
| n | details of agreements entered into with the media companies and/or their associates, etc; | No such agreements in KFSL |
| o | [Schedule of analysts or institutional investors meet 306[at least two working days in advance (excluding the date of the intimation and the date of the meet)] and presentations made by the listed entity to analysts or institutional investors | No such calls organized by KFSL |
| oa | Audio or video recordings and transcripts of post earnings/quarterly calls, by whatever name called, conducted physically or through digital means, simultaneously with submission to the recognized stock exchange(s) | No such recordings are submitted by KFSL . Not applicable in our case |
| p | new name and the old name of the listed entity for a continuous period of one year, from the date of the last name change | Not applicable as no such name change for KFSL |
| q | items in sub-regulation (1) of regulation 47 | News Paper add |
| r | With effect from October 1, 2018, all credit ratings obtained by the entity for all its outstanding instruments, updated immediately as and when there is any revision in any of the ratings. | Not applicable |
| s | separate audited financial statements of each subsidiary of the listed entity in respect of a relevant financial year, uploaded at least 21 days prior to the date of the annual general meeting which has been called to inter alia consider accounts of that financial year]: | Not applicable as Co has no subsidiaries |
| t | secretarial compliance report as per sub-regulation (2) of regulation 24A of these regulations | SMEs are exempt from this. |
| u | disclosure of the policy for determination of materiality of events or information required under clause (ii), sub-regulation (4) of regulation 30 of these regulations; | updated soon |
| v | disclosure of contact details of key managerial personnel who are authorized for the purpose of determining materiality of an event or information and for the purpose of making disclosures to stock exchange(s) as required under sub- regulation (5) of regulation 30 of these regulations |
Name : Vineet Pandey Email : vineet@kaarya.co.in |
| w | disclosures under sub-regulation (8) of regulation 30 of these regulations; | BSE ( corporate Announcements ) |
| x | statements of deviation(s) or variation(s) as specified in regulation 32 of these regulations | There is no such deviation reported as of now. Whenever such a deviation is reported to BSE, a copy of the communication can be uploaded on our website |
| y | dividend distribution policy by listed entities based on market capitalization as specified in sub-regulation (1) of regulation 43A | There is no such policy in KFSL, nor has it been reported to BSE |
| z | annual return as provided under section 92 of the Companies Act, 2013 and the rules made thereunder.] | Annual return filed by Co every yrs with ROC /MCA in XBRL , should also be uploaded in our website simultaneously |