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SEBI’s New Proposal: Redefining Insider Trading Rules

Updated on: Jul 30, 2024, 12:23 PM IST
SEBI's consultation paper reveals a detailed plan to update the Prohibition of Insider Trading (PIT) Regulations focusing on refining the definitions and scope of key terms
SEBI’s New Proposal: Redefining Insider Trading Rules
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Introduction

The Securities and Exchange Board of India (SEBI) announced proposed changes to the definition of “connected person” and “relative” under the scope of insider trading regulations. This move is aimed at tightening the regulations to prevent insider trading and misuse of unpublished price-sensitive information (UPSI). SEBI’s consultation paper reveals a detailed plan to update the Prohibition of Insider Trading (PIT) Regulations, focusing on refining the definitions and scope of key terms to enhance compliance and enforcement.

Key Changes in Definitions

Immediate Relative

One of the significant changes proposed by SEBI is the redefinition of “immediate relative.” The current definition includes close family members, which SEBI believes is sufficient for the purposes of disclosures and the code of conduct. However, SEBI suggests removing the “note” associated with this term to simplify the compliance requirements without altering the underlying obligations for disclosures by promoters, directors, and designated persons regarding their immediate relatives.

Connected Person and Deemed Connected Persons

The definition of a “connected person” under the insider trading rules is also set to undergo substantial changes. Currently, a connected person is someone who, due to their association with the company, has access to UPSI. This includes individuals who are formally part of the company and those deemed to have regular contact with it, potentially gaining access to UPSI.

SEBI’s proposed changes seek to broaden this definition to encompass individuals who, because of their close association with a connected person, could potentially partake in insider trading.The new definition will replace “immediate relative” with “relative” and will add more categories to the list of “deemed connected persons.”

New Categories of Deemed Connected Persons

SEBI proposes to include the following under the category of “deemed connected persons”:

  1. Relatives of Connected Persons: Extending the scope to include more family members who could influence or be influenced by connected persons.
  2. Firms and Partners/Employees: Where a connected person is a partner, making the firm’s employees also subject to insider trading regulations.
  3. Advisors and Influencers: Individuals who provide advice, directions, or instructions to connected persons, potentially influencing their decisions.
  4. Corporations with Influenced Directors: Companies where directors act based on the advice of connected persons.
  5. Individuals Living with Connected Persons: Those sharing a residence with connected persons.
  6. Financial Relationships: People with a material financial relationship with a connected person.
  7. Members of Hindu Undivided Family (HUF): Where a connected person is the Karta or a member, thus extending the regulations to family businesses.

Implications of the Proposed Changes

SEBI’s proposed changes are aimed at broadening the net to capture more individuals who could potentially misuse UPSI. This includes those with indirect connections to the company through financial, advisory, or familial relationships. If these “deemed connected persons” are charged under the PIT Regulations, they would bear the burden of proving they were not in possession of UPSI.

Public Consultation

SEBI has opened these proposals for public comment until August 18. This consultation period allows stakeholders, including investors, companies, and legal experts, to provide feedback and suggestions on the proposed changes. This approach ensures that the final regulations are comprehensive and practical, taking into account the perspectives of all affected parties.

Conclusion

The proposed changes by SEBI mark a significant step towards tightening the insider trading regulations in India. By redefining “connected person” and “relative,” and expanding the scope of “deemed connected persons,” SEBI aims to create a more robust regulatory framework to prevent the misuse of UPSI. Stakeholders are encouraged to participate in the consultation process to ensure that the regulations are effective and enforceable, safeguarding the integrity of the capital markets.

These updates reflect SEBI’s ongoing commitment to enhancing transparency and accountability in the financial markets, ensuring that all participants adhere to the highest standards of conduct.

 Disclaimer: This blog has been written exclusively for educational purposes. The securities mentioned are only examples and not recommendations. It is based on several secondary sources on the internet and is subject to changes. Please consult an expert before making related decisions.

Published on: Jul 30, 2024, 12:23 PM IST

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