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LODR · R-08

Non-compliance, fines and enforcement

Maintain preventive controls for exchange fines, freezing, suspension, SEBI directions and officer liability.

Source review: 14 July 2026Listed entities, boards, compliance officers, stock exchanges and investorsProfessional control guide
SEBI HubLODR › Non-compliance, fines and enforcement

Finin2min Summary — in 2 Minutes

Decision: Maintain preventive controls for exchange fines, freezing, suspension, SEBI directions and officer liability.

Legal owner and source control

RegulationListing Obligations and Disclosure Requirements Regulations, 2015
Current source date14 July 2026
Numbered anchorsRegulations 6, 13, 15, 17–27, 23, 24, 24A, 27, 30, 31, 31A, 33, 34, 44, 46 and Schedule III.
Official sourceSEBI Regulation record

How to apply this control

1. Freeze the facts

Record the entity, security or product, transaction, decision-maker, counterparty, amount and event date.

2. Locate the provision

Open the official consolidated Regulation and identify the exact numbered provision, proviso, explanation and Schedule.

3. Add subordinate implementation

Map the current Master Circular, later circular, exchange/depository specification and filing format without treating them as the Regulation itself.

4. Preserve evidence

Compliance dashboard, exchange notices, corrective action and board escalation.

Evidence checklist

  • Applicable legal version and amendment date.
  • Named business and compliance owner.
  • Approval, filing, acknowledgement and communication trail.
  • Maker-checker, exception and escalation evidence.
  • Post-event reconciliation and breach assessment.

Common failure

Avoid: Treating an exchange fine as the end of the matter rather than a signal of a continuing control failure.

Finin2min Q&A

Is this page the legal text?

No. It is an implementation guide. Use the official SEBI consolidated Regulation for the exact wording and numbering.

Does a successful exchange or portal filing prove compliance?

No. Acceptance proves a system transaction; it does not cure wrong applicability, approvals, disclosures, timing or evidence.

What should be checked after an amendment?

Effective date, saved actions, forms, policies, system rules, open transactions, board approvals and investor/client communications.