BAJAJ BROKING

Notification close image
No new Notification messages
card image
Seshaasai Technologies Ltd IPO
Apply for the Seshaasai Technologies Ltd IPO through UPI in Just minutes
delete image
card image
Start your SIP with just ₹100
Choose from 4,000+ Mutual Funds on Bajaj Broking
delete image
card image
Open a Free Demat Account
Pay ZERO maintenance charges for the first year, get free stock picks daily, and more.
delete image
card image
Trade Now, Pay Later with up to 4x
Never miss a good trading opportunity due to low funds with our MTF feature.
delete image
card image
Track Market Movers Instantly
Stay updated with real-time data. Get insights at your fingertips.
delete image

 

BAJAJ FINANCIAL SECURITIES LIMITED (Bajaj Broking)

Most Important Terms and Conditions (MITC) (For non-custodial settled trading accounts)

 

  • Your trading account has a "Unique Client Code"(UCC), different from your demat account number. Do not allow anyone (including your own stock broker, their representatives and dealers) to trade in your trading account on their own without taking specific instruction from you for your trades. Do not share your internet/ mobile trading login credentials with anyone else.
  • You are required to place collaterals as margins with the stock broker before you trade. The collateral can either be in the form of funds transfer into specified stock broker bank accounts or margin pledge of securities from your demat account. The bank accounts are listed on the stock broker website. Please do not transfer funds into any other account. The stock broker is not permitted to accept any cash from you.
  • The stock broker's Risk Management Policy provides details about how the trading limits will be given to you, and the tariff sheet provides the charges that the stock broker will levy on you.
  • All securities purchased by you will be transferred to your demat account within one working day of the payout. In case of securities purchased but not fully paid by you, the transfer of the same may be subject to limited period pledge i.e. seven trading days after the pay-out (CUSPA pledge) created in favor of the stock broker. You can view your demat account balances directly at the website of the Depositories after creating a login.
  • The stock broker is obligated to deposit all funds received from you with any of the Clearing Corporations duly allocated in your name. The stock broker is further mandated to return excess funds as per applicable norms to you at the time of quarterly/ monthly settlement. You can view the amounts allocated to you directly at the website of the Clearing Corporation(s).
  • You will get a contract note from the stock broker within 24 hours of the trade.
  • You may give a one-time Demat Debit and Pledge Instruction (DDPI) authority to your stock broker for limited access to your demat account, including transferring securities, which are sold in your account for pay-in.
  • The stock broker is expected to know your financial status and monitor your accounts accordingly. Do share all financial information (e.g. income, networth, etc.) with the stock broker as and when requested for. Kindly also keep your email Id and mobile phone details with the stock broker always updated.
  • In case of disputes with the stock broker, you can raise a grievance on the dedicated investor grievance ID of the stock broker. You can also approach the stock exchanges and/or SEBI directly.
  • Any assured/guaranteed/fixed returns schemes or any other schemes of similar nature are prohibited by law. You will not have any protection/recourse from SEBI/stock exchanges for participation in such schemes.
     

Most Important Terms and Conditions (MITC) (As per Research Analyst Regulations)

 

  • Availing of the research services: By accepting delivery of the research service, the client confirms that he/she has elected to subscribe to the research service of the Bajaj Financial Securities Ltd (BFSL) at his/her sole discretion. BFSL confirms that research services shall be rendered in accordance with the applicable provisions of the SEBI Research Analysts (RA) Regulations.
  • Obligations on RA: BFSL and client shall be bound by SEBI Act and all the applicable rules and regulations of SEBI/relevant authority, including the RA Regulations and relevant notifications of Government, as may be in force, from time to time.
  • Client Information and KYC: The client shall furnish all such details in full as may be required by the BFSL in its standard form with supporting details, if any, as may be made mandatory by RAASB/SEBI from time to time. BFSL shall collect, store, upload and check KYC records of the clients with KYC Registration Agency (KRA) as specified by SEBI from time to time.
  • Standard Terms of Service: I/we consent that:
    • "I / We have read and understood the terms and conditions applicable to a research analyst as defined under regulation 2(1)(u) of the SEBI (Research Analyst) Regulations, 2014, including the fee structure. I/We are subscribing to the research services for our own benefits and consumption, and any reliance placed on the research report provided by research analyst shall be as per our own judgement and assessment of the conclusions contained in the research report.
    • I/We understand that -
      • Any investment made based on the recommendations in the research report are subject to market risk.
      • Recommendations in the research report do not provide any assurance of returns.
      • There is no recourse to claim any losses incurred on the investments made based on the recommendations in the research report."
    • BFSL declares that:
      • BFSL is duly registered with SEBI as an RA pursuant to the SEBI (Research Analysts) Regulations, 2014 and its registration details are: (Registration number-INH000010043, registration date- October 10, 2022);
      • BFSL has registration and qualifications required to render the services contemplated under the RA Regulations, and the same are valid and subsisting;
      • Research analyst services provided by BFSL do not conflict with or violate any provision of law, rule or regulation, contract, or other instrument to which it is a party or to which any of its property is or may be subject;
      • The maximum fee that may be charged by RA is 1.51 lakhs per annum per family of client.
      • The recommendations provided by RA do not provide any assurance of returns.
  • Consideration and mode of payment: The client shall duly pay to BFSL, the agreed fees for the services that BFSL renders to the client and statutory charges, as applicable. Such fees and statutory charges shall be payable through the specified manner and mode(s)/ mechanism(s).
  • Risk factors: Investments in the securities market are subject to market risk, read all related documents carefully before investing. Investor should consult his own advisors/consultant to determine the merits and risks of investment.
  • Conflict of interest: BFSL shall adhere to the applicable regulations/ circulars/ directions specified by SEBI from time to time in relation to disclosure and mitigation of any actual or potential conflict of interest. The disclosures regarding actual and potential conflict of interest shall be made available in the research reports published. For detailed disclosures kindly visit www.bajajbroking.in/disclaimer
  • Termination of service and refund of fees: BFSL may suspend or terminate rendering of research services to client on account of suspension/ cancellation of registration of BFSL by SEBI and shall refund the residual amount to the client. In case of suspension of certificate of registration of the BFSL as RA for more than 60 (sixty) days or cancellation of the RA registration, BFSL shall refund the fees, on a pro rata basis for the period from the effective date of cancellation/ suspension to end of the subscription period.
  • Grievance redressal and dispute resolution: Any grievance related to (i) nonreceipt of research report or (ii) missing pages or inability to download the entire report, or (iii) any other deficiency in the research services provided by BFSL, shall be escalated promptly by the client to the person/employee designated by BFSL, in this behalf BFSL has provided its escalation matrix on the website under the Contact Us section and the same is also mentioned under clause 12.
    • The BFSL shall be responsible to resolve grievances within 7 (seven) business working days or such timelines as may be specified by SEBI under the RA Regulations.
    • BFSL shall redress grievances of the client in a timely and transparent manner.
    • Any dispute between the BFSL and his client may be resolved through arbitration or through any other modes or mechanism as specified by SEBI from time to time.
  • Additional clauses: All additional voluntary clauses added by the BFSL should not be in contravention with rules/ regulations/ circulars of SEBI. Any changes in such voluntary clauses/document(s) shall be preceded by a notice of 15 days.
  • Mandatory notice: Clients shall be requested to go through Do's and Don'ts while dealing with BFSL as specified in SEBI master circular no. SEBI/HO/MIRSD-POD-1/P/CIR/2024/49 dated May 21, 2024 or as may be specified by SEBI from time to time.
     

Most Important Terms and Conditions (MITC)
 

  • These terms and conditions, and consent thereon are for the research services provided by the Research Analyst (RA) i.e. BFSL and BFSL cannot execute/carry out any trade (purchase/sell transaction) on behalf of, the client. Thus, the clients are advised not to permit BFSL to execute any trade on their behalf.
  • The fee charged by BFSL to the client will be subject to the maximum of amount prescribed by SEBI/ Research Analyst Administration and Supervisory Body (RAASB) from time to time (applicable only for Individual and HUF Clients).
    • The current fee limit is Rs 1,51,000/- per annum per family of client for all research services of the RA.
    • The fee limit does not include statutory charges.
    • The fee limits do not apply to a non-individual client / accredited investor.
  • BFSL may charge fees in advance if agreed by the client. Such advance shall not exceed the period stipulated by SEBI; presently it is one quarter. In case of pre-mature termination of the RA services by either the client or BFSL, the client shall be entitled to seek refund of proportionate fees only for unexpired period.
  • Fees to BFSL may be paid by the client through any of the specified modes like cheque, online bank transfer, UPI, etc. Cash payment is not allowed. Optionally the client can make payments through Centralized Fee Collection Mechanism (CeFCoM) managed by BSE Limited (i.e. currently recognized RAASB).
  • The BFSL is required to abide by the applicable regulations/ circulars/ directions specified by SEBI and RAASB from time to time in relation to disclosure and mitigation of any actual or potential conflict of interest. The BFSL will endeavor to promptly inform the client of any conflict of interest that may affect the services being rendered to the client.
  • Any assured/guaranteed/fixed returns schemes or any other schemes of similar nature are prohibited by law. No scheme of this nature shall be offered to the client by the BFSL.
  • The BFSL cannot guarantee returns, profits, accuracy, or risk-free investments from the use of the BFSL's research services. All opinions, projections, estimates of the BFSL are based on the analysis of available data under certain assumptions as of the date of preparation/publication of research report.
  • Any investment made based on recommendations in research reports are subject to market risks, and recommendations do not provide any assurance of returns. There is no recourse to claim any losses incurred on the investments made based on the recommendations in the research report. Any reliance placed on the research report provided by the BFSL shall be as per the client's own judgement and assessment of the conclusions contained in the research report.
  • The SEBI registration, Enlistment with RAASB, and NISM certification do not guarantee the performance of the BFSL or assure any returns to the client.
  • For any grievances
    • Step 1: the client should first contact the BFSL using the Grievance Redressal / Escalation Matrix published on its website. www.bajajbroking.in/contact-us
    • Step 2: If the resolution is unsatisfactory, the client can also lodge grievances through SEBI's SCORES platform at www.scores.sebi.gov.in
    • Step 3: The client may also consider the Online Dispute Resolution (ODR) through the Smart ODR portal at https://smartodr.in
  • Clients are required to keep contact details, including email id and mobile number/s updated with the BFSL at all times.
  • The BFSL shall never ask for the client's login credentials and OTPs for the client's Trading Account Demat Account and Bank Account. Never share such information with anyone including BFSL.