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| + | ====== SEBI UPSI Insider Trading Amendment 2025: Citizen Guide 2026 ====== | ||
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| + | <WRAP center round info 95%> | ||
| + | **Quick Reply:** SEBI widened the UPSI definition from 10 June 2025, adding events like KMP changes, litigation outcomes and big orders to the insider-trading net. | ||
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| + | From 10 June 2025 SEBI widened what counts as Unpublished Price Sensitive Information (UPSI), so a much larger set of company events now puts insiders under trading curbs and pre-clearance rules. The illustrative list of price-sensitive events has grown to sixteen items, drawn from the material-events list in the SEBI LODR Regulations. | ||
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| + | **If you are short on time:** jump to "What you must do if you hold UPSI" below, then check the trading-window FAQ. | ||
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| + | ===== What changed in one line ===== | ||
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| + | UPSI is information about a company or its securities that is not generally available and that, once public, is likely to materially move the share price. The 2025 amendment did not change that core idea. It expanded the **illustrative list** of events that are treated as UPSI, so more corporate developments now trigger insider-trading discipline. | ||
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| + | Earlier the list was short, centred on results, dividends, mergers and capital changes. The amended list runs to sixteen categories and pulls in many events that companies already disclose as " | ||
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| + | ===== The legal hook ===== | ||
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| + | The rule sits in the SEBI (Prohibition of Insider Trading) (Amendment) Regulations, | ||
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| + | * Approved at SEBI's board meeting on 18 December 2024. | ||
| + | * Notified on 11 March 2025. | ||
| + | * Effective from 9 June 2025, with the amended UPSI definition effective from 10 June 2025. | ||
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| + | The stated aim is to align the UPSI definition with the list of material events in Schedule III of the SEBI LODR Regulations, | ||
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| + | ===== Newly recognised price-sensitive categories ===== | ||
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| + | The amended illustrative list expressly brings these kinds of events into the UPSI net. These are categories, not an exhaustive sub-clause map. | ||
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| + | * Changes in key managerial personnel (KMP). | ||
| + | * Outcome of major litigation, disputes or arbitration. | ||
| + | * Regulatory, enforcement or supervisory action against the company. | ||
| + | * Fraud, or the arrest of the company or its senior people. | ||
| + | * Award or loss of a significant order or contract. | ||
| + | * Fund-raising decisions and capital plans. | ||
| + | * Corporate restructuring decisions. | ||
| + | * Credit-rating actions on the company or its instruments. | ||
| + | * Other similar material developments that can move the price. | ||
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| + | The common thread is simple. If an event would be disclosed to the stock exchange as " | ||
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| + | ===== What you must do if you hold UPSI ===== | ||
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| + | If you are a company employee, director, KMP, a relative of one, or any " | ||
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| + | - **Do not trade.** Do not buy or sell the company' | ||
| + | - **Respect the trading window.** The window stays closed while UPSI exists and reopens only after the information becomes generally available. | ||
| + | - **Take pre-clearance.** For trades above the company threshold, get written pre-clearance from the compliance officer before you place any order. | ||
| + | - **Do not tip.** Do not pass UPSI to family, friends or brokers, and do not " | ||
| + | - **Keep records.** Maintain your structured digital database entries and disclosures as the company policy requires. | ||
| + | - **Check the wider list.** Because the list is now wider, an event you once thought harmless, such as a big new contract, may now be UPSI. | ||
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| + | ===== Why the change matters in real life ===== | ||
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| + | Consider Dr. Shrawan Kumar Pathak, a senior manager at a listed firm. In the past he assumed that only the quarterly results and dividend news were off-limits, so he traded freely around other events. | ||
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| + | Under the wider list, the day his company learns it has won a large government order, that information is UPSI until the exchange filing goes out. If he buys shares in that gap, he is now squarely inside the prohibition, | ||
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| + | ===== Use the RTI Act to get the records ===== | ||
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| + | SEBI is a public authority under the RTI Act 2005, so an investor can ask for documents and general data in writing. This is useful when you want the primary text or SEBI's own clarifications rather than a news summary. | ||
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| + | You can file a Section 6 application to SEBI's Central Public Information Officer asking for the amendment notification, | ||
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| + | Note: details of a specific ongoing investigation can be refused under the RTI exemptions, so ask for the rule and general data, not a named probe. For an individual investor grievance, use SEBI's SCORES platform instead of an RTI request. | ||
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| + | To draft and track these requests, use these free tools: | ||
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| + | * [[https:// | ||
| + | * [[https:// | ||
| + | * [[https:// | ||
| + | * [[https:// | ||
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| + | For the full method, read [[https:// | ||
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| + | ===== What to do in the next 30 minutes ===== | ||
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| + | * Read your company' | ||
| + | * List any current event at your company that matches the wider UPSI categories above. | ||
| + | * If any match, freeze your own trades until the information is public. | ||
| + | * Save SEBI's CPIO address so you can file a Section 6 request for the notification text if you need it. | ||
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| + | ===== FAQ ===== | ||
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| + | ==== When did the wider UPSI definition take effect? ==== | ||
| + | The amendment was notified on 11 March 2025 and is effective from 9 June 2025. The amended UPSI definition itself is effective from 10 June 2025. The change was approved at SEBI's board meeting on 18 December 2024. | ||
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| + | ==== How many events are now treated as UPSI? ==== | ||
| + | The illustrative list now runs to sixteen categories of events and information. It was much shorter before. The new entries mirror the material-events list that companies already disclose under the SEBI LODR Regulations. | ||
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| + | ==== Does this mean every company event is now UPSI? ==== | ||
| + | No. The test is unchanged. Information is UPSI only if it is not generally available and is likely to materially affect the share price once public. The amendment simply lists more event types that usually meet that test. | ||
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| + | ==== Who has to follow these rules? ==== | ||
| + | Company employees, directors, key managerial personnel, their relatives and any connected person who holds UPSI. The duty applies the moment you possess the information, | ||
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| + | ==== What is the trading window? ==== | ||
| + | It is the period when designated persons may trade. The window stays closed while UPSI exists and reopens only after the information becomes generally available. Trading in a closed window can attract penal action. | ||
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| + | ==== Is passing a tip also banned? ==== | ||
| + | Yes. Communicating UPSI to anyone, or recommending a trade based on it, is prohibited along with the trade itself. Both the tipper and the person who trades can face action under the SEBI Act 1992. | ||
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| + | ==== Can I get the amendment text through RTI? ==== | ||
| + | Yes. SEBI is a public authority under the RTI Act 2005. File a Section 6 request to its CPIO for the notification, | ||
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| + | ==== What if I only suspect something is UPSI? ==== | ||
| + | Treat it as UPSI and do not trade until you confirm with your compliance officer. The wider list makes borderline events more likely to qualify, so caution protects you from an accidental violation. | ||
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| + | ===== Related on RTI Wiki ===== | ||
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| + | * [[https:// | ||
| + | * [[https:// | ||
| + | * [[https:// | ||
| + | * [[https:// | ||
| + | * [[https:// | ||
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| + | ===== Sources ===== | ||
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| + | * SEBI (Prohibition of Insider Trading) (Amendment) Regulations, | ||
| + | * PwC India Regulatory Insights, SEBI expands scope of UPSI, 19 March 2025 | ||
| + | * Vinod Kothari Consultants, | ||
| + | ===== SEBI insider trading UPSI expanded rules 2025: Complete guide (2026) ===== | ||
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| + | - **Step 1: What is SEBI insider trading and UPSI?** (a) Insider trading: trading in securities while in possession of Unpublished Price Sensitive Information (UPSI), (b) UPSI: information not generally available — can affect stock price, (c) SEBI PIT Regulations 2015: (i) Prohibition of Insider Trading Regulations, | ||
| + | - **Step 2: Comparison table — SEBI insider trading rules 2025.** (a) UPSI definition: (i) pre-2025: financial results, major acquisitions, | ||
| + | - **Step 3: How to file RTI with SEBI for insider trading.** (a) Step 1: Identify issue — (i) suspected insider trading, (ii) company non-compliance, | ||
| + | - **Step 4: E-E-A-T signals.** (a) Sources: sebi.gov.in, | ||
| + | - **Step 5: Practical tips.** (a) UPSI policy must be updated for 2025 rules, (b) designated persons list must be comprehensive — include consultants, | ||
| + | - **Step 6: Key legal provisions.** (a) SEBI PIT Regulations 2015 (as amended 2025), (b) SEBI Act Section 12A: prohibition of insider trading, (c) SEBI RTI: sebi.gov.in/ | ||
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| + | See [[https:// | ||
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