MCA Compliance Calendar 2026 for Private Companies in India
Table of Contents
Ministry of Corporate Affairs Compliance Calendar – Private Companies (India)
Annual Compliances – Private Companies (India)
| Form / Event | Due Date | Purpose / Details |
| Annual General Meeting | On or before 30 September | Annual General Meeting of shareholders |
| AOC-4 | Within 30 days of AGM | Filing of Financial Statements (BS, P&L, Auditor’s Report, Board Report) |
| MGT-7 / MGT-7A | Within 60 days of AGM | Filing of Annual Return of Company |
| DPT-3 | On or before 30 June | Return of Deposits / Loan disclosures |
| DIR-3 KYC | Typically by 30 September (or as notified) | KYC of Directors (Director Identification Number holders)—MCA in India mandates that anyone with a Director Identification Number complete the Director KYC form once every 3 years to confirm their contact information & personal details. |
| ADT-1 | Within 15 days of appointment | Appointment of Statutory Auditor |
| ITR-6 | On or before 30 October | Income Tax Return filing for Company |
Professional Insight:
- AGM → triggers AOC-4 → then MGT-7 (flow must be maintained)
- DPT-3 often missed in loan-heavy companies
Half-Yearly Compliances—Private Companies (India)
| Form | Due Date | Details |
| MSME-1 | Within 30 days from half-year end | Disclosure of outstanding dues to MSMEs (>45 days) |
| PAS-6 | Within 60 days from half-year end | Reconciliation of Share Capital Audit Report (not for small companies) |
Practical Tip: MSME-1 is a high scrutiny form → Ministry of Corporate Affairs actively tracks delays
Event-Based Compliances—Private Companies (India)
| Form | Due Date | Ministry of Corporate Affairs – Trigger Event |
| MGT-14 | Within 30 days | Filing of Board / Special Resolutions |
| SH-7 | Within 30 days | Change in Authorised Share Capital |
| PAS-3 | Within 30 days (15 days in private placement) | Return of Allotment |
| INC-22 | Within 30 days | Change in Registered Office |
| INC-20A | Within 180 days of incorporation | Commencement of Business Declaration |
| DIR-12 | Within 30 days | Appointment / resignation of directors / Key Managerial Personnel |
| BEN-1 & BEN-2 | Within 30 days | Significant Beneficial Ownership reporting |
Important Insight: Event-based delays = heavy additional fees (INR 100 per day); BEN compliance is under strict Ministry of Corporate Affairs scrutiny.
General / Ongoing Compliances for Private Companies (India)
| Compliance | Requirement |
| Board Meetings | Minimum 4 meetings/year (2 for small companies) |
| MBP-1 | Disclosure of interest in first Board Meeting of FY |
| DIR-8 | Declaration of non-disqualification by directors (at appointment) |
Governance Tip: Maintain proper minutes and registers to avoid ROC notices
CA Perspective Key Risk Areas – Frequently Missed
- DPT-3 (loan disclosures)
- MSME-1 (vendor ageing)
- DIR-3 KYC (Director Identification Number deactivation risk)
High-Penalty Zones:
- MGT-14 delay → INR 100/day (no cap in many cases)
- PAS-3 delay → impacts share allotment legality
- INC-20A → penalty + possible strike-off risk
For Clients’ Practical Compliance Flow:
Ongoing (Throughout the Year)
- Event-Based Filings (as and when triggered): MGT-14, PAS-3, DIR-12, INC-22, SH-7, BEN-2, etc.
- Board Meetings: Minimum 4 per year (2 for small companies)
- Statutory Disclosures: MBP-1 (Director Interest) and DIR-8 (Disqualification declaration)
- We should focus on Timely action within 30 days of event trigger
Fixed Compliances (Annual)
- Annual General Meeting (By 30 September)
- AOC-4 (Within 30 days of Annual General Meeting)
- MGT-7 / 7A (Within 60 days of Annual General Meeting)
- ITR-6 (By 30 October)
- DPT-3 (By 30 June)
- DIR-3 KYC (As notified – generally Sep)
- So we should maintain proper annual compliance calendar & documentation readiness
Periodic Compliances (Half-Yearly)
- MSME-1 (April & October)
- PAS-6 (For applicable companies)
- We should Track vendor payments & share capital data
Trigger-Based Compliances (Event-Driven)
- Incorporation → INC-20A
- Director changes → DIR-12
- Share allotment → PAS-3
- Capital change → SH-7
- Resolution filing → MGT-14
For clients, classifying compliance as fixed, periodic, or event-based; keeping a compliance tracker; closing books and documentation on a monthly basis; and planning annual general meeting and audit timeframes are all sensible compliance strategies for customers. In the event of noncompliance, missing deadlines result in penalties of INR 100 each day in addition to legal concerns; therefore, we should comply right away to prevent significant additional costs.
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