Olympic Management & Financial Services Promoters Disclose Nil Share Encumbrance for FY Ended March 31, 2026

1 min read     Updated on 09 May 2026, 02:41 PM
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Olympic Management & Financial Services Limited filed its annual disclosure under Regulation 31(4) of SEBI (SAST) Regulations, 2011, dated May 9, 2026, confirming nil encumbrance or pledging of promoter shares for the financial year ended March 31, 2026. The disclosure was submitted to BSE Limited, NSDL, and CDSL by promoter and Director Pawan Kr Agarwal (DIN: 00556417) on behalf of all promoters. As of March 31, 2026, no shares of the company held by promoters are encumbered or pledged in any manner.

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Olympic Management & Financial Services Limited has submitted its annual disclosure under Regulation 31(4) of SEBI (Substantial Acquisition of Shares and Takeovers) Regulations, 2011, confirming that promoters of the company have not encumbered or pledged any shares during the financial year ended March 31, 2026. The disclosure, dated May 9, 2026, was signed by Director Preethi Thomas Yangal and filed with BSE Limited from the company's registered office in Mumbai.

Regulatory Disclosure Details

The filing was addressed to multiple regulatory and depository bodies, as outlined below:

Recipient: Details
Exchange: BSE Limited, Corporate Service Department, Mumbai
Depository 1: National Securities Depository Ltd. (NSDL), Lower Parel, Mumbai
Depository 2: Central Depository Services India Ltd. (CDSL), Lower Parel, Mumbai
Filing Date: May 9, 2026
Period Covered: Financial year ended March 31, 2026

The disclosure was submitted in compliance with the annual reporting requirement under Regulation 31(4) of SEBI (SAST) Regulations, 2011, which mandates promoters to confirm the status of encumbrance on their shareholding at the close of each financial year.

Promoter Confirmation on Share Encumbrance

Promoter and Director Pawan Kr Agarwal (DIN: 00556417), writing on behalf of himself and all other promoters of the company, confirmed that no encumbrance was created, directly or indirectly, on shares held by the promoter group during the financial year ended March 31, 2026. The key disclosures made are summarised below:

Parameter: Details
Encumbrance During FY: Nil
Shares Pledged as on March 31, 2026: Nil
Shares Encumbered as on March 31, 2026: Nil
Disclosure Made By: Pawan Kr Agarwal, Director (DIN: 00556417)
On Behalf Of: All Promoters of Olympic Management & Financial Services Limited

Company and Filing Information

Olympic Management & Financial Services Limited is incorporated under CIN L65990MH1984PLC033825 and has been operating since 1984. The company's registered office is located at 42, Gopal Bhawan, 199, Princess Street, Mumbai – 400 002. The filing to BSE Limited was made under BSE Code 511632 and CSE Code 025031. Director Preethi Thomas Yangal (DIN: 08853472) signed the covering letter submitted to BSE Limited on behalf of the company.

How does Olympic Management & Financial Services' consistent zero-encumbrance record influence investor confidence and potential institutional interest in the company's stock?

Given the company's 40-year operating history in financial services, what strategic expansion or diversification plans might the promoter group be considering that could affect their shareholding structure?

Could the clean promoter shareholding record position Olympic Management & Financial Services as a potential acquisition target or merger candidate in India's consolidating financial services sector?

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Olympic Management & Financial Services Limited Opens Special Window for Transfer and Dematerialization of Physical Securities

1 min read     Updated on 22 Apr 2026, 03:23 PM
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Olympic Management & Financial Services Limited has opened a special window from 5th February 2026 to 4th February 2027 for transfer and dematerialization of physical securities pursuant to SEBI Circular dated 30th January 2026. The company published newspaper advertisements in Free Press Journal and Nava Shakti on April 21, 2026, and submitted intimation to BSE on April 22, 2026, under Regulation 30 of SEBI Listing Regulations.

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Olympic Management & Financial Services Limited has announced the opening of a special window for the transfer and dematerialization of physical securities. The special window will remain open from 5th February 2026 to 4th February 2027, providing shareholders with an opportunity to convert their physical share certificates into dematerialized form and process transfer requests.

The announcement has been made pursuant to SEBI Circular No. HO/38/13/11/2026-MIRSD-POD/1/3750/2026 dated 30th January 2026. This regulatory initiative aims to facilitate the smooth transition of physical securities to electronic form, ensuring compliance with market standards and enhancing shareholder convenience.

Company Details

Particulars Details
Company Name Olympic Management & Financial Services Limited
CIN L65990MH1984PLC033825
Registered Office 42, Gopal Bhawan, 3rd Floor, 199, Princess Street, Mumbai - 400 002
BSE Code 501110
Phone 2209 3908
Email info@corporatementors.in
Website www.corporatementors.in

Regulatory Compliance

The company has submitted an intimation to the Bombay Stock Exchange (BSE) regarding the newspaper publication of this announcement. This intimation has been made in accordance with Regulation 30 of the SEBI (Listing Obligations and Disclosure Requirements) Regulations, 2015, read with SEBI Circular dated July 02, 2025 bearing no. SEBI/HO/MIRSD/MIRSD-PoD/P/CIR/2025/97.

Newspaper advertisements were published in the English newspaper 'Free Press Journal' and the Marathi newspaper 'Nava Shakti' on Tuesday, April 21, 2026, to inform shareholders about the special window. The intimation was submitted to BSE on April 22, 2026, by Preeti Thomas Yangal, Director of the company.

Shareholders holding physical securities are advised to utilize this special window period to complete the transfer and dematerialization process. The company has been operating as Corporate Mentors since 1984 and continues to provide financial services to its clients.

What impact will the dematerialization push have on Olympic Management's operational costs and digital infrastructure investments?

How might the company's share liquidity and trading volumes change once more physical securities are converted to demat form?

Will SEBI extend similar special windows to other listed companies, and could this become a standard regulatory practice?

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