Bajaj Holdings & Investment Amends Code for Fair Disclosure of Unpublished Price Sensitive Information
The amendment is a compliance measure to enhance corporate governance and transparency regarding UPSI, as required by SEBI regulations. While important for regulatory adherence, it does not directly impact the company's financial performance, operational activities, or competitive position in a significant way.
The announcement details a routine amendment to the company's code for fair disclosure of Unpublished Price Sensitive Information (UPSI), primarily to comply with SEBI regulations. This is a standard corporate governance update and does not indicate a direct positive or negative financial or operational event for the company.
Bajaj Holdings & Investment Limited (BAJAJHLDNG) announced that its Board of Directors, at a meeting held on 16 September 2025, approved amendments to the 'Code of Practices and Procedures for Fair Disclosure of Unpublished Price Sensitive Information' (the 'Code').
Key details of the amended Code, pursuant to Regulation 8(2) of SEBI (Prohibition of Insider Trading) Regulations, 2015, include: * Fair Disclosure Principles: Ensuring prompt public and uniform dissemination of Unpublished Price Sensitive Information (UPSI) to make it 'generally available' and avoid selective disclosure. * Chief Investor Relations Officer (CIRO): The Compliance Officer will serve as the CIRO for handling UPSI dissemination and disclosure. * Handling of UPSI: The company will ensure appropriate responses to news reports and market rumours, that information shared with analysts is not UPSI, and that UPSI is handled on a 'need-to-know' basis. * Legitimate Purposes: Defines 'legitimate purposes' for sharing UPSI, including sharing with partners, collaborators, lenders, auditors, legal advisors, and other consultants in the ordinary course of business, provided it's not to evade regulations. * Insider Status: Any person receiving UPSI for a 'legitimate purpose' will be considered an 'insider' under SEBI regulations and must maintain confidentiality. * Digital Database: Maintenance of a structured digital database containing names and Permanent Account Numbers (PAN) or other identifiers of individuals/entities with whom UPSI is shared, ensuring adequate internal controls, time stamping, and audit trails to prevent tampering.
The amended Code has also been hosted on the company's website.
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