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Format of the Initial Disclosure to be made by an entity identified as a Large Corporate : Annexure A
23-Apr-2026 | Source : BSEFormat of Initial Disclosure to be made by an entity identified as a Large Corporate.
| Sr. No. | Particulars | Details |
| 1 | Name of Company | Manoj Ceramic Ltd |
| 2 | CIN NO. | L51909MH2006PLC166147 |
| 3 | Outstanding borrowing of company as on 31st March / 31st December as applicable (in Rs cr) | 56.34 |
| 4 | Highest Credit Rating during the previous FY | IVRBBB |
| 4a | Name of the Credit Rating Agency issuing the Credit Rating mentioned in (4) | INFOMERICS VALUATION AND RATING PVT. LTD. |
| 5 | Name of Stock Exchange# in which the fine shall be paid in case of shortfall in the required borrowing under the framework | BSE |
We confirm that we are a Large Corporate as per the applicability criteria given under the SEBI circular SEBI/HO/DDHS/CIR/P/2018/144 dated November 26 2018. No
Name of the Company Secretary: SWATI JAIN
Designation: COMPANY SECRETARY AND COMPLIANCE OFFICER
EmailId: compliance@mcplworld.com
Designation: COMPANY SECRETARY AND COMPLIANCE OFFICER
EmailId: compliance@mcplworld.com
Name of the Chief Financial Officer: PANKAJ SHANTILAL RAKHASIYA
Designation: CHIEF FINANCIAL OFFICER
EmailId: compliance@mcplworld.com
Designation: CHIEF FINANCIAL OFFICER
EmailId: compliance@mcplworld.com
Date: 23/04/2026
Note: In terms para of 3.2(ii) of the circular beginning F.Y 2022 in the event of shortfall in the mandatory borrowing through debt securities a fine of 0.2% of the shortfall shall be levied by Stock Exchanges at the end of the two-year block period. Therefore an entity identified as LC shall provide in its initial disclosure for a financial year the name of Stock Exchange to which it would pay the fine in case of shortfall in the mandatory borrowing through debt markets.
Announcement under Regulation 30 (LODR)-Allotment
22-Apr-2026 | Source : BSEAllotment of 100000 Equity Shares upon conversion of Warrants into Equity Shares
Compliances-Reg.24(A)-Annual Secretarial Compliance
14-Apr-2026 | Source : BSEWe hereby declare and confirm that we are not required to submit to exchange the Secretarial Compliance Report under Regulation 24A of SEBI (LODR) Regulations 2015 for the Financial Year ended 31st March 2026 in view of the exemption granted under Regulation 15(2) of SEBI (LODR) Regulations to listed entities which has listed its specified securities on the SME Exchange.
Corporate Actions
No Upcoming Board Meetings
No Dividend history available
No Splits history available
No Bonus history available
No Rights history available






