With reference to Regulation 24A of SEBI (Listing Obligations and Disclosure Requirements) (Amendment) Regulations, 2018 and vide its Circular No. CIR/CFD/CMD1/27/2019 dated 08th February, 2019 prescribed the Format of Annual Secretarial Compliance Report to be submitted by a Company Secretary in Practice to the Listed Entity on compliance of all applicable SEBI Regulations and Circulars / Guidelines issued there under and this report shall be submitted by the Listed Entity to the Stock Exchange within 60 days from the end of the financial year, Vivanza Biosciences has informed that pursuant to Regulation 15(2) of SEBI (LODR) Regulations, 2015, the compliance with the corporate governance provisions as specified in Regulations 17, 17A, 18, 19, 20, 21, 22, 23, 24, 24A, 25, 26, 27 and clauses (b) to (i) and (t) of sub regulation (2) of regulation 46 and Para C, D and E of Schedule V shall not apply, in respect of a) The listed entity having paid up equity share capital not exceeding rupees ten crores and net worth not exceeding rupees twenty five crores, as on the last day of the previous financial year; b) The listed entity whose specified securities are listed on the SME Exchange, the Company is covered under clause (‘a’) as mention above as Paid-up Share Capital is Rs. 4 Crore and Net worth is Rs. 4,67,85,991 of the Company. Therefore, provisions of Regulation 24A are not applicable to the Company. Hence, the Company is not required to submit Annual Secretarial Compliance Report as required under Regulation 24A of the SEBI (LODR) Regulations, 2015.
| Company Name | CMP |
|---|---|
| Redington | 224.50 |
| Adani Enterprises | 2511.75 |
| Amrapali Industries | 18.15 |
| Rashi Peripheral | 512.15 |
| PDS | 299.75 |
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