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PIT - Definitions and UPSI classification

Upsi identification, insider/connected person status and information sensitivity under SEBI Prohibition of Insider Trading Regulations, 2015.

PITOfficial source date: 12 March 2025Definitions and UPSI classification

Finin2min Summary

Bare Law and Source Map

InstrumentSEBI Prohibition of Insider Trading Regulations, 2015
Audiencelisted companies, designated persons, insiders, compliance officers, connected persons, intermediaries, auditors and investigation teams
Page focusUPSI identification, insider/connected person status and information sensitivity
Provision familyUPSI, insider, connected person, generally available information and material information definitions
Official sourcehttps://www.sebi.gov.in/legal/regulations/mar-2025/securities-and-exchange-board-of-india-prohibition-of-insider-trading-regulations-2015-last-amended-on-march-12-2025-_92672.html

Section-wise / Para-wise Decode

Linked Rules, Circulars and Notifications

Before filing or issuing advice, check the SEBI regulations listing, the family source page, applicable master circulars, exchange or depository specifications and any SEBI order affecting the same fact pattern.

Workflow / Flow Chart

  1. Step 1Confirm applicability of SEBI Prohibition of Insider Trading Regulations, 2015 to the entity, role, security, investor/client and event date before using PIT - Definitions and UPSI classification.
  2. Step 2Open the official source dated 12 March 2025 and locate the exact clause family for UPSI, insider, connected person, generally available information and material information definitions.
  3. Step 3Freeze the facts: parties, transaction, approval date, amount, security, investor/client class, filing channel and responsible officer.
  4. Step 4Build the PIT - Definitions and UPSI classification evidence file using UPSI note, SDD extract, trading-window notice, pre-clearance application, contra-trade record, disclosure form, code of conduct and investigation response; mark each item as available, pending or not applicable.
  5. Step 5Translate the legal requirement into one owner, one due date, one approval trail and one acknowledgement or retention record.
  6. Step 6Check linked circulars, master circulars, exchange/depository specifications and enforcement orders before closing the advice.
  7. Step 7Record deviations, board or trustee escalation, client/investor communication and remediation status in the working paper.

Practical Examples

  • UPSI sharing for a merger transaction: use PIT - Definitions and UPSI classification to decide the legal trigger, evidence owner and corrective filing before the transaction proceeds.
  • designated person trade during a closed trading window: map the facts to Definitions and UPSI classification and test whether the record supports every field in the compliance conclusion.
  • structured digital database gap during an investigation: if the fact pattern changes after approval, rerun applicability, investor/client communication and reporting checks.

Highlighted Points

  • Do not treat PIT commercial wording as enough; the official regulation source controls the legal label.
  • Definitions and UPSI classification should end in a dated working paper, not only a verbal compliance clearance.
  • Portal acceptance, exchange acknowledgement or trustee sign-off does not cure a wrong legal classification.
  • Every PIT - Definitions and UPSI classification advice note should quote the provision family for UPSI, insider, connected person, generally available information and material information definitions and keep the official SEBI source link beside it.
  • Where a circular or master circular changes implementation, preserve both the regulation text and the circular instruction.

Exam and Advisory Case Studies

Case study: A compliance officer is asked to approve a PIT action involving UPSI sharing for a merger transaction. The short answer should not say only that SEBI Prohibition of Insider Trading Regulations, 2015 applies. It should classify the party and transaction, locate UPSI, insider, connected person, generally available information and material information definitions, test the evidence pack against UPSI note, SDD extract, trading-window notice, pre-clearance application, contra-trade record, disclosure form, code of conduct and investigation response, identify the responsible officer and decide whether a filing, investor/client notice, trustee or board approval, or remediation note is needed.

Advisory build-out for PIT - Definitions and UPSI classification: prepare a one-page control sheet with columns for legal source, clause, fact proved, document reference, owner, due date, exception and closure evidence. Use the 12 March 2025 source link for the current text and keep the SEBI regulations listing in the file for later source-currentness checks.

Q&A

What is the first source to open?

For PIT - Definitions and UPSI classification, open the official SEBI source for SEBI Prohibition of Insider Trading Regulations, 2015 and then the current SEBI regulations listing before relying on any implementation note.

Is this page a substitute for the bare regulation?

No. It is a practitioner map. The official regulation, schedule, circular and filing system remain the controlling source.

What makes the working paper defensible?

For PIT - Definitions and UPSI classification, use a clause-to-evidence link covering UPSI note, SDD extract, trading-window notice, pre-clearance application, contra-trade record, disclosure form, code of conduct and investigation response, plus approval, filing and exception records.

When should enforcement risk be considered?

For PIT - Definitions and UPSI classification, consider enforcement risk as soon as the fact pattern shows missing SDD entry, trading-window breach, vague legitimate purpose, undisclosed connected person, late disclosure or unsupported trading-plan defence, or when an inspection, investor complaint, SEBI letter or exchange query is received.

Working Checklist

Primary Official Sources

Related Inter / Intra Links