Transwind Exempt From RPT Disclosure For Q4FY26
Transwind Infrastructures Ltd. has informed the National Stock Exchange that it is exempt from disclosing Related Party Transactions for the quarter ended March 31, 2026, under SEBI LODR Regulation 15(2). This exemption applies because the company's securities are listed on the SME Exchange, waiving the requirement for XBRL mode disclosure under Regulation 23(9).

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Transwind Infrastructures Ltd. has confirmed that it is not required to provide disclosures for Related Party Transactions for the period ended March 31, 2026. The company communicated this exemption to the Listing Department of the National Stock Exchange in a letter dated May 20, 2026, citing its listing status on the SME Exchange.
Regulatory Exemption Details
The exemption is based on Regulation 15(2) of the SEBI (Listing Obligation and Disclosure Requirements) Regulations, 2015. This regulation specifies that certain corporate governance provisions, including those outlined in regulations 17 to 27 and specific clauses of regulation 46, do not apply to listed entities that have their specified securities listed on the SME Exchange.
Implications for Disclosure
As a result of this classification, the company is not required to submit the disclosure of Related Party Transactions in XBRL mode. This requirement, typically mandated under Regulation 23(9) of the SEBI LODR regulations, is therefore waived for the period ended March 31, 2026.
| Detail | Information |
|---|---|
| Scrip Code | TRANSWIND |
| Period Ended | March 31, 2026 |
| Regulation Cited | SEBI LODR Regulation 15(2) |
| Disclosure Waived | Regulation 23(9) RPT Disclosure |
The confirmation was signed by Nishant M. Pandey, Whole Time Director of Transwind Infrastructures Ltd., on May 20, 2026.
Historical Stock Returns for Transwind Infrastructures
| 1 Day | 5 Days | 1 Month | 6 Months | 1 Year | 5 Years |
|---|---|---|---|---|---|
| 0.0% | 0.0% | -24.57% | -21.43% | -11.71% | +111.20% |
If Transwind Infrastructures Ltd. eventually migrates from the SME Exchange to the Main Board, how might the sudden requirement to comply with full RPT disclosure norms impact investor confidence and operational transparency?
Given the waiver of Related Party Transaction disclosures for SME-listed companies, how might this regulatory gap affect retail investors' ability to assess governance risks in SME-listed firms like Transwind Infrastructures?
Are there any ongoing SEBI consultations or proposed amendments to Regulation 15(2) that could tighten disclosure requirements for SME Exchange-listed entities in the near future?

























