Big compliance relief for directors — with clear conditions
What Changed & Why It Matters
The Ministry of Corporate Affairs (MCA) has overhauled the DIN KYC framework to reduce repetitive compliance.
👉 Annual DIN KYC is gone.
👉 Triennial (once in 3 years) KYC is now the rule.
Legal Backing
- Notification: G.S.R. 943(E)
- Date: 31 December 2025
- Rules Amended: Rule 12A of the Companies (Appointment and Qualification of Directors) Rules, 2014
- Effective From: 31 March 2026
- Issued under: Sections 149, 150, 152, 153, 154, 157 read with Section 469 of the Companies Act, 2013
Earlier Regime (Till 30 March 2026)
- DIN KYC required every year
- Applicable to all DIN holders as on 31 March
- Due date: 30 September
- Non-compliance led to:
- DIN deactivation
- Late fee of ₹5,000
📌 Result: High defaults despite no change in director details.
New Rule 12A: What Exactly Has Changed
1️⃣ Filing Frequency
- Once in every 3 consecutive financial years
- Instead of annual filing
2️⃣ Due Date
- 30 June of the relevant year
- (Earlier: 30 September)
3️⃣ Mode of Filing
- Only DIR-3 KYC Web
- Offline e-form discontinued
4️⃣ Applicability
- Applies if DIN is held as on 31 March of the relevant financial year
📌 Policy intent: Reduce repetitive filings while keeping director data current.
Important: Continuous Update Still Mandatory
The relaxation is only for periodic KYC, not for changes.
If Any Change Occurs In:
- Mobile number
- Email ID
- Residential address
Then Mandatory Compliance
- File DIR-3 KYC Web
- Within 30 days of change
- Applicable even if triennial KYC is not due
Practical Illustrations (Simplified)
Illustration 1: KYC Already Filed (Old Regime)
- DIN held as on: 31 March 2025
- KYC filed for FY 2024–25
👉 Next KYC due: 30 June 2028
Illustration 2: DIN Allotted After 1 April 2025
- DIN allotted: 15 April 2025
- DIN held as on: 31 March 2026
👉 First KYC due: 30 June 2029
Illustration 3: Change in Details
- Change in email/mobile/address: 10 August 2026
👉 DIR-3 KYC Web due by: 9 September 2026
(Irrespective of 3-year cycle)
Finin2min Key Takeaways
- ✅ DIN KYC now once in 3 years
- ✅ Due date shifted to 30 June
- ✅ Applicability linked to DIN held on 31 March
- ✅ DIR-3 KYC Web only
- ⚠️ Changes in personal details still need 30-day update
- 📜 Amendment via G.S.R. 943(E) dated 31-12-2025
Open Points (As of Now)
- No separate MCA Circular / FAQ issued yet
- Interpretation to rely on plain reading of Rule 12A
- Further clarity may come via:
- MCA portal validations
- Updated FAQs / Help Kits
Bottom Line
This amendment is a genuine compliance rationalisation — but shifts responsibility to accurate tracking of KYC cycles and changes.
Missed timelines can still lead to DIN deactivation.
👉 Directors & professionals should update compliance trackers immediately.
Disclaimer: This content is for general information and educational purposes only. It does not constitute legal, tax, accounting, or professional advice. Views expressed are based on prevailing laws and interpretations at the time of publication. Readers should consult their professional advisors before taking any action.
Article related to :-
DIN KYC compliance,
MCA DIN KYC rules,
DIN KYC once in three years,
Rule 12A amendment,
Companies Act 2013
Directors KYC,
DIR-3 KYC Web,
MCA compliance update 2026
