NSE Symbol
TCC
TCC Concept Limited submitted a regulatory filing to BSE Limited and National Stock Exchange of India Limited intimating them about amendments to the company's Code of Practices and Procedures for Fair Disclosure of Unpublished Price Sensitive Information (UPSI).
The Board of Directors approved the amended policy at their meeting held on Friday, May 22, 2026. The policy is available on the company's website at www.tccltd.in.
The amended UPSI Code establishes a comprehensive framework for fair disclosure of unpublished price sensitive information in accordance with Regulation 8 of the SEBI (Prohibition of Insider Trading) Regulations, 2015. The policy aims to ensure timely, adequate, and uniform disclosure of UPSI to prevent selective disclosure and maintain fairness in securities markets.
Key components of the policy include:
Definitions: Clearly defines Unpublished Price Sensitive Information (UPSI) to include financial results, dividends, change in capital structure, mergers/acquisitions, changes in key managerial personnel, rating changes, fund raising, agreements impacting management control, fraud/defaults, insolvency proceedings, forensic audits, regulatory actions, litigation outcomes, guarantees not in normal course, and license approvals/cancellations.
Principles of Fair Disclosure: Includes prompt public disclosure of UPSI, uniform dissemination, designation of Compliance Officer as Chief Investor Relations Officer (CIRO), handling of selective disclosures, response to market rumors, and need-to-know basis handling of UPSI.
Sharing of UPSI: Allows sharing for legitimate purposes including ordinary course of business with partners, collaborators, lenders, customers, suppliers, merchant bankers, legal advisors, auditors, and other consultants on a need-to-know basis.
Recipient Notification: Requires issuing notices to UPSI recipients making them aware of the confidential nature of information and their responsibilities.
Digital Database Maintenance: Mandates maintaining a structured digital database of UPSI recipients containing name, organization, postal address, email ID, and PAN or other legal identifier. The database must include internal controls and checks with time stamping and audit trails to prevent tampering.
The policy is signed by Isha Arora, Company Secretary & Compliance Officer, and was digitally signed on May 23, 2026 at 04:24:02 +05:30.