Fusion Finance schedules investor meetings in Mumbai for June

0 min read     Updated on 06 Jun 2026, 04:21 PM
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Fusion Finance has announced a schedule for meetings with analysts and institutional investors in Mumbai from June 9 to 11, 2026. The management will conduct one-to-one and group meetings, adhering to SEBI regulations, and confirmed that no unpublished price sensitive information will be disclosed.

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Fusion Finance has scheduled meetings with analysts and institutional investors in Mumbai from June 9 to June 11, 2026. The management will engage with a group of investors through one-to-one and group meetings during this period. The company confirmed that no unpublished price sensitive information would be shared during these interactions.

The disclosure was made in accordance with Regulation 30 read with Part A of Schedule III of the SEBI (Listing Obligations and Disclosure Requirements) Regulations 2015. The schedule remains subject to changes due to exigencies on the part of the analysts, investors, or the company.

Meeting Schedule

Date Name of Analyst / Institutional Investor Type of meeting Location & Mode of Meeting
9th - 11th June, 2026 Group of Investors One-to-One & Group Meeting In-person, Mumbai

Vikrant Sadana, Company Secretary & Compliance Officer, signed the intimation on June 5, 2026.

Historical Stock Returns for Fusion Finance

1 Day5 Days1 Month6 Months1 Year5 Years
+0.46%-2.27%-8.59%+1.13%+4.34%-45.27%

What strategic initiatives or growth drivers is Fusion Finance likely to emphasize during these investor meetings?

How might the outcomes of these meetings influence investor sentiment and the stock's short-term performance?

Could this engagement signal upcoming corporate actions, such as fundraising or expansion plans?

Fusion Finance wins ITAT appeal dismissing ₹27.80 crore tax demand

2 min read     Updated on 03 Jun 2026, 04:16 PM
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Fusion Finance Limited successfully defended its tax position at the Income Tax Appellate Tribunal, which dismissed demands totaling ₹27.80 crore for AY 2020-21 and AY 2021-22. The tribunal validated the company's use of a 5% tax withholding rate on foreign NCD interest payments under Section 194LD, rejecting the ITO's claim for a 20% rate. There is no financial impact from the order.

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Fusion Finance Limited has secured a significant legal victory after the Income Tax Appellate Tribunal (ITAT), New Delhi, dismissed appeals filed by the Income Tax Officer (ITO) challenging the company's tax position. The tribunal's orders, dated May 29, 2026, result in the deletion of total tax demands amounting to ₹27.80 crore across two assessment years. This decision resolves the dispute regarding the appropriate rate of tax withholding on interest payments made to foreign Non-Convertible Debenture (NCD) holders, confirming that the company is not liable for the additional demands raised by the tax authorities.

The disputes arose from allegations that the company was an "assessee in default" for deducting tax at a lower rate. The ITO had contended that interest payments to foreign NCD holders attracted a withholding rate of 20% plus cess and surcharge under Section 196D read with Section 115AD of the Income Tax Act, 1961. However, the company had already withheld tax at 5% plus cess and surcharge under Section 194LD of the Act. The ITAT's dismissal of the ITO's appeals validates the company's adherence to the provisions of Section 194LD.

The favorable outcome covers demands for Assessment Year 2020-21 and Assessment Year 2021-22. For AY 2020-21, the tribunal dismissed a total demand of ₹16,62,03,454, which included a tax liability of ₹9,54,65,663 and an interest liability of ₹7,07,37,791. Similarly, for AY 2021-22, the dismissed demand totaled ₹11,18,43,066, comprising a tax liability of ₹7,10,23,805 and an interest liability of ₹4,08,19,261.

Breakdown of Dismissed Demands

Assessment Year Total Demand Dismissed (₹) Tax Liability (₹) Interest Liability (₹)
2020-21 16,62,03,454 9,54,65,663 7,07,37,791
2021-22 11,18,43,066 7,10,23,805 4,08,19,261

The legal proceedings involved multiple stages. The company had initially filed appeals on July 12, 2024, against the alleged orders under Section 201 of the Act. These appeals were decided in the company's favor by the Commissioner of Income Tax (Appeals) on July 28, 2025. Subsequently, the ITO filed appeals before the ITAT on September 29, 2025, challenging those orders. The recent ITAT orders mark the final dismissal of the revenue department's challenges, concluding the litigation for these periods.

Fusion Finance stated that there is no impact on its financials, operations, or other activities as a result of these orders. The company became aware of the orders during a routine review of communications on the ITAT website, as the formal intimation was not received via email. The disclosure was submitted to the exchanges under Regulation 30 of the SEBI (Listing Obligations and Disclosure Requirements) Regulations, 2015.

Historical Stock Returns for Fusion Finance

1 Day5 Days1 Month6 Months1 Year5 Years
+0.46%-2.27%-8.59%+1.13%+4.34%-45.27%

Will this legal precedent influence Fusion Finance's future strategy for raising foreign capital through NCDs?

Does the company anticipate any further tax litigation challenges for other assessment years?

How might the Income Tax Department respond to this ruling, potentially affecting other companies in similar positions?

More News on Fusion Finance

1 Year Returns:+4.34%