BSECompany Update2d ago · 13 Aug 2026, 03:37 pm
With reference to the captioned subject, this is to inform comments made by the Board of Directors of the Company.
ARCL Organics Ltd · 543993
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ARCL Organics Ltd has received a notice from the Bombay Stock Exchange (BSE) for late submission of related party transactions disclosure under Regulation 23(9) of the SEBI (Listing Obligations and Disclosure Requirements) Regulations, 2015. The company has paid a fine of Rs. 5,900 (including GST) and has taken note of the incident to minimize recurrence and ensure timely compliance.
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ARCL Organics Ltd - 543993 - Response To The Notices Received From Stock Exchanges Under Regulation 30 Of The SEBI (Listing Obligations And Disclosure Requirements) Regulations, 2015
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August 13, 2026
The Secretary,
BSE Limited,
1st Floor, New Trading Ring,
Rotunda Building,
Phiroze Jeejeebhoy Towers
Dalal Street,
Mumbai - 400 001
Code No. 543993
Sub: Response to the Notice received from Stock Exchanges under Regulation 30 of the SEBI
(Listing Obligations and Disclosure Requirements) Regulations, 2015 (“Listing Regulations”)
Ref: Letter / e-mail from Bombay Stock Exchange (“BSE”) dated 30th June, 2026.
Dear Sir / Madam,
With reference to the captioned subject, the Company has received the enclosed letter / e-mail from
BSE (“Stock Exchanges”), for late submission of disclosure of related party transactions as required
under Regulation 23(9) of the Listing Regulations for the half year ended 31st March, 2026 and
imposing fine of Rs. 5,900 (including GST) each. The Company has paid the aforesaid fine amount, to
the Stock Exchanges, on 3rd July, 2026.
The delay in filing the aforesaid disclosure was due to an inadvertent technical glitch, resulting in the
filing not being completed within the prescribed timeline.
Further, as advised by the Stock Exchanges, the aforesaid letter / e-mail was placed before the Board of
Directors at its meeting held on 12th August, 2026. The Board has taken note of the same and advised
to minimise the possibility of recurrence of such instances in the future and ensure timely compliance
with the applicable provisions of the Listing Regulations.
This is for your information and record.
Yours Sincerely,
For ARCL Organics Limited
Rajesh Mundhra
Whole Time Director
DIN: 00658649
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From: bse.soplodr <bse.soplodr@bseindia.com>
To: "legal@arcl.in" <legal@arcl.in>, "legal@arcl.in" <legal@arcl.in>, "legal@arcl.in" <legal@arcl.in>
543993-Fines as per SEBI Master Circular No. HO/49/14/14(7)2025-CFD-POD2/I/3762/2026 issued on July
Subject:
11, 2023 and last updated on January 30,2026 (Chapter VII (A)-Penal Action for Non-Compliance)
Date: Tue, 30 Jun 2026 19:10:34 IST
Cc: bse.soplodr <bse.soplodr@bseindia.com>
Ref.: SOP-Review-30/06/2026
The Company Secretary/Compliance Officer
Company Name: ARCL Organics Ltd
Scrip Code: 543993
Dear Sir/Madam,
Sub: Fines as per SEBI Master Circular No. HO/49/14/14(7)2025-CFD-POD2/I/3762/2026 issued on July 11, 2023 and last updated on January
30,2026 (Chapter VII (A)-Penal Action for Non-Compliance).
The company is advised to refer to the SEBI Master Circular No. HO/49/14/14(7)2025-CFD-POD2/I/3762/2026 issued on July 11, 2023 and last
updated on January 30,2026 (hereinafter referred to as the ‘SEBI SOP Master Circular’) issued by Securities and Exchange Board of India (SEBI)
with respect to penal actions prescribed for non-compliance of certain provisions of the SEBI (Listing Obligations and Disclosure Requirements)
Regulations, 2015 and the Standard Operating Procedure for suspension and revocation of trading of specified securities of listed entities.
The Exchange had also issued a guidance note regarding the provisions of the said SEBI circular which is disseminated on the Exchange website at
the following link:
https://www.bseindia.com/downloads1/Guidance_Note_for_SEBI_SOP_Circular.pdf
In this regard it is observed that the company is non-compliant/late compliant with the following Regulations for the period mentioned below:
Applicable Fine prescribed Fines levied for Fine payable by the company Compliance status
Regulation of SEBI (*)
(LODR) Regulations, (inclusive of GST @ 18 %) as on June 30,2026
2015 Basic Fine GST @ 18 % Total Fine
payable
Regulation 23 (9) Rs. 5,000/- per half year ended 5000 900 5900 Late-submission
day till the date of March 2026
Non-compliance with compliance.
the requirement to
disclose related
party transactions in
the format as
specified and within
the prescribed
timeline.
Total SOP Fine 5000 900 5900
Note: In case of Non-Compliance the fines will continued to be levied till the date of compliance.
The Company is therefore advised to note that as per the provisions of SEBI SOP Master Circular:
The company is required to ensure compliance with above regulation and ensure to pay the aforesaid fines including GST within 15 days from
the date of this letter/email, failing which Exchange shall, initiate action related to freezing of the entire shareholding of the promoter in this
entity as well as all other securities held in the demat account of the promoter. The company is advised to bring the provisions of SEBI SOP
Master Circular to the notice of promoter of the company.
The company is also advised to ensure that the subject matter of non-compliance which has been identified and indicated by the Exchange
and any subsequent action taken by the Exchange in this regard shall be placed before the Board of Directors of the company in its next
meeting. Comments made by the board shall be duly informed to the Exchange for dissemination.
Yours faithfully
Harshad Naik Reena Raphel
Manager Manager
Listing Compliance Listing Compliance
In case of any further queries please email the following ids:
Particulars Email Id
Query on remittance bse.soplodr@bseindia.com
Query on compliance Harshad.Naik@bseindia.com
Company is requested to remit the fine amount to the following designated VIRTUAL BANK ACCOUNT of the Exchange:
Company Name ARCL Organics Ltd
Account Name Bank Name & Branch Virtual Bank Account No.* IFSC Code
BSE Limited ICICI Bank Ltd.- CMS BSER12278 ICIC0000104
Branch
*Note: This bank account is specifically dedicated to SOP fine and Waiver fees only, Therefore, company is advised not to deposit/credit any amount
payable other than SOP fines/penalties/waiver.
The company is required to submit fine remittance details in the following format given at Annexure I to Email id: bse.soplodr@bseindia.com
Annexure-I (On letterhead of the company)
Sub: Details of Payment of fines for Non-Compliance with Regulations of SEBI (LODR) Regulations, 2015.
Remittance details:
Scrip Code Regulation & Bank UTR Date of Amount paid TDS deducted, if Net Amount paid
Quarter number Payment any
This mail is classified as 'CONFIDENTIAL' by Reena Raphel on June 30, 2026 at 19:10:26.
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