General information about company

Scrip code532940
NSE SymbolJKIL
MSEI SymbolNOTLISTED
ISININE576I01022
Name of the entityJ.KUMAR INFRAPROJECTS LIMITED
Date of start of financial year01-04-2025
Date of end of financial year31-03-2026
Reporting Quarter TypeYearly
Date of Quarter Ending31-03-2026
Type of companyEquity
Whether Annexure I (Part A) of the SEBI Circular dated December 31, 2024 related to Compliance Report on Corporate Governance is applicable to the entity?Yes
Whether Annexure I (Part B) of the SEBI Circular dated December 31, 2024 related to Investor Grievance Redressal Report is Applicable to the entity?Yes
Whether Annexure I (Part C) of the SEBI Circular dated December 31, 2024 related to Disclosure of Acquisition of Shares or Voting Rights in Unlisted Companies is Applicable to the entity?NoNOT APPLICABLE
Whether Annexure I (Part D) of the SEBI Circular dated December 31, 2024 related to Disclosure of Imposition of Fine or Penalty is Applicable to the entity?NoNOT APPLICABLE
Whether Annexure I (Part E) of the SEBI Circular dated December 31, 2024 related to Disclosure of Updates to Ongoing Tax Litigations or Disputes is Applicable to the entity?Yes
Whether Annexure I (Part F) of the SEBI Circular dated December 31, 2024 related to Disclosure Of Loans / Guarantees / Comfort Letters / Securities Etc. is Applicable to the entity?Yes
Risk management committeeApplicable
Market Capitalisation as per immediate previous Financial YearTop 1000 listed entities
Is SCORE ID Available ?Yes
SCORE Registration IDj00001
Reason For No SCORE ID
Type of SubmissionOriginal
Remarks (website dissemination)
Remarks for Exchange (not for Website Dissemination)



Annexure I

Annexure I to be submitted by listed entity on quarterly basis

I. Composition of Board of Directors

Disclosure of notes on composition of board of directors explanatory
Whether the listed entity has a Regular ChairpersonYes
Whether Chairperson is related to MD or CEOYes
SrTitle (Mr / Ms)Name of the DirectorPANDINCategory 1 of directorsCategory 2 of directorsCategory 3 of directors Date of Birth
1MrJagdishkumar M. GuptaAACPG2753N01112887Executive DirectorChairperson12-07-1948
2MrKamal J. GuptaAAEPG9892N00628053Executive DirectorNot ApplicableMD17-10-1973
3MrNalin J. GuptaAAEPG9920B00627832Executive DirectorNot ApplicableMD15-08-1975
4MrRaghav ChandraAAEPC2866J00057760Non-Executive - Independent DirectorNot Applicable31-10-1958
5MrSidharath KapurAAJPK7956Q02153416Non-Executive - Independent DirectorNot Applicable20-07-1962
6MrRamesh Kumar ChoubeyAAJPC7855N10545097Non-Executive - Independent DirectorNot Applicable27-08-1963
7MrPravin GhagBILPG2888N10566207Executive DirectorNot Applicable20-08-1970
8MrsArchana YadavAAAPY9845P07335198Non-Executive - Independent DirectorNot Applicable30-12-1976

I. Composition of Board of Directors

Disqualification of Directors under section 164 of the Companies Act, 2013

SrWhether the director is disqualified?Start Date of disqualificationEnd Date of disqualificationDetails of disqualificationCurrent status
1NoActive
2NoActive
3NoActive
4NoActive
5NoActive
6NoActive
7NoActive
8NoActive

I. Composition of Board of Directors

SrWhether special resolution passed? [Refer Reg. 17(1A) of Listing Regulations]Date of passing special resolutionInitial Date of appointmentDate of Re-appointmentDate of cessationTenure of director (in months)No of Directorship in listed entities including this listed entity (Refer Regulation 17A of Listing Regulations)No of Independent Directorship in listed entities including this listed entity [with reference to proviso to regulation 17A(1) & reg. 17A(2)]Number of memberships in Audit/ Stakeholder Committee(s) including this listed entity (Refer Regulation 26(1) of Listing Regulations)No of post of Chairperson in Audit/ Stakeholder Committee held in listed entities including this listed entity (Refer Regulation 26(1) of Listing Regulations)Reason for CessationNotes for not providing PANNotes for not providing DIN
1NA02-12-199920-05-202401100
2NA02-12-199920-05-202401110
3NA02-12-199920-05-202401110
4No01-11-202201-11-2022415561
5No08-02-202208-02-202249.241310
6No28-03-202428-03-202424.041110
7NA28-03-202428-03-202401000
8Yes24-09-202407-08-201907-08-202479.253352



Audit Committee Details

Whether the Audit Committee has a Regular ChairpersonYes
SrDIN NumberName of Committee membersCategory 1 of directorsCategory 2 of directorsDate of Appointment Date of CessationRemarks
107335198Archana YadavNon-Executive - Independent DirectorChairperson07-08-2024
200628053Kamal J. GuptaExecutive DirectorMember20-05-2024
300057760Raghav ChandraNon-Executive - Independent DirectorMember01-11-2022
402153416Sidharath KapurNon-Executive - Independent DirectorMember08-02-2022
510545097Ramesh Kumar ChoubeyNon-Executive - Independent DirectorMember28-05-2024


Nomination and remuneration committee

Whether the Nomination and remuneration committee has a Regular ChairpersonYes
SrDIN NumberName of Committee membersCategory 1 of directorsCategory 2 of directorsDate of Appointment Date of CessationRemarks
102153416Sidharath KapurNon-Executive - Independent DirectorChairperson08-02-2022
200057760Raghav ChandraNon-Executive - Independent DirectorMember01-11-2022
307335198Archana YadavNon-Executive - Independent DirectorMember07-08-2024
410545097Ramesh Kumar ChoubeyNon-Executive - Independent DirectorMember28-05-2024


Stakeholders Relationship Committee

Whether the Stakeholders Relationship Committee has a Regular ChairpersonYes
SrDIN NumberName of Committee membersCategory 1 of directorsCategory 2 of directorsDate of Appointment Date of CessationRemarks
100057760Raghav ChandraNon-Executive - Independent DirectorChairperson01-11-2022
210545097Ramesh Kumar ChoubeyNon-Executive - Independent DirectorMember06-11-2025
300627832Nalin J. GuptaExecutive DirectorMember20-05-2024


Risk Management Committee

Whether the Risk Management Committee has a Regular ChairpersonYes
SrDIN NumberName of Committee membersCategory 1 of directorsCategory 2 of directorsDate of Appointment Date of CessationRemarks
102153416Sidharath KapurNon-Executive - Independent DirectorChairperson21-04-2022
200628053Kamal J. GuptaExecutive DirectorMember20-05-2024
300627832Nalin J. GuptaExecutive DirectorMember20-05-2024
400000000Vasant SavlaChief Financial OfficerMember06-08-2024Textual Information(1)

Sr Text Block

Textual Information(1)Mr. Vasant Savla is the Chief Financial Officer and not the Director, he is not having DIN


Corporate Social Responsibility Committee

Whether the Corporate Social Responsibility Committee has a Regular ChairpersonYes
SrDIN NumberName of Committee membersCategory 1 of directorsCategory 2 of directorsDate of Appointment Date of CessationRemarks
107335198Archana YadavNon-Executive - Independent DirectorChairperson07-08-2024
201112887Jagdishkumar M. GuptaExecutive DirectorMember20-05-2024
300628053Kamal J. GuptaExecutive DirectorMember20-05-2024


Other Committee

SrDIN NumberName of Committee membersName of other committeeCategory 1 of directorsCategory 2 of directorsRemarks
101112887Jagdishkumar M. GuptaCommittee of Directors (Management)Executive DirectorChairperson
200628053Kamal J. GuptaCommittee of Directors (Management)Executive DirectorMember
300627832Nalin J. GuptaCommittee of Directors (Management)Executive DirectorMember

Annexure 1

Annexure 1

III. Meeting of Board of Directors

Disclosure of notes on meeting of board of directors explanatory
Sr. No.Date(s) of meeting (if any) in the previous quarterDate(s) of meeting (if any) in the current quarterMaximum gap between any two consecutive (in number of days)Notes for not providing DateWhether requirement of Quorum met (Yes/No)Total Number of Directors as on date of the meetingNumber of Directors present* (All directors including Independent Director)No. of Independent Directors attending the meeting*
106-11-2025Yes884
222-12-202545Yes874
305-01-202613Yes884
405-02-202630Yes884
518-03-202640Yes884



Annexure 1

IV. Meeting of Committees

Disclosure of notes on meeting of committees explanatory
SrName of CommitteeDate(s) of meeting (Enter dates of Previous quarter and Current quarter in chronological order)Maximum gap between any two consecutive (in number of days)Name of other committeeReason for not providing dateWhether requirement of Quorum met (Yes/No)Total Number of Directors in the Committee as on date of the meetingNumber of Directors Present (All Directors including Independent Director)No. of Independent Directors attending the meeting* No. of members attending the meeting (other than Board of Directors)
1Audit Committee06-11-2025Yes5540
2Audit Committee22-12-202545Yes5440
3Audit Committee05-01-202613Yes5540
4Audit Committee05-02-202630Yes5540
5Audit Committee18-03-202640Yes5540
6Risk Management Committee06-11-2025Yes3311



Annexure 1

IV. Meeting of Committees

SrName of CommitteeDate(s) of meeting (Enter dates of Previous quarter and Current quarter in chronological order)Maximum gap between any two consecutive (in number of days)Name of other committeeReason for not providing dateWhether requirement of Quorum met (Yes/No)Total Number of Directors in the Committee as on date of the meetingNumber of Directors Present (All Directors including Independent Director)No. of Independent Directors attending the meeting* No. of members attending the meeting (other than Board of Directors)
7Risk Management Committee18-03-2026131Yes3311
8Corporate Social Responsibility Committee06-11-2025Yes3310
9Corporate Social Responsibility Committee18-03-2026131Yes3310
10Stakeholders Relationship Committee06-11-2025Yes3310
11Stakeholders Relationship Committee05-02-202690Yes3320
12Nomination and remuneration committee18-03-2026Yes4440



Annexure 1

V. Affirmations

SrSubjectCompliance status (Yes/No)
1The composition of Board of Directors is in terms of SEBI (Listing obligations and disclosure requirements) Regulations, 2015Yes
2The composition of the following committees is in terms of SEBI(Listing obligations and disclosure requirements) Regulations, 2015 a. Audit CommitteeYes
3The composition of the following committees is in terms of SEBI(Listing obligations and disclosure requirements) Regulations, 2015. b. Nomination & remuneration committeeYes
4The composition of the following committees is in terms of SEBI(Listing obligations and disclosure requirements) Regulations, 2015. c. Stakeholders relationship committeeYes
5The composition of the following committees is in terms of SEBI(Listing obligations and disclosure requirements) Regulations, 2015. d. Risk management committee (applicable to the top 1000 listed entities)Yes
6The committee members have been made aware of their powers, role and responsibilities as specified in SEBI (Listing obligations and disclosure requirements) Regulations, 2015.Yes
7The meetings of the board of directors and the above committees have been conducted in the manner as specified in SEBI (Listing obligations and disclosure requirements) Regulations, 2015.Yes
8This report and/or the report submitted in the previous quarter has been placed before Board of Directors.Yes

Annexure 1

SrSubjectCompliance status
1Name of signatoryKamal J. Gupta
2DesignationManaging Director



Annexure II to be submitted by listed entity at the end of the financial year (for the whole of financial year)

I. Disclosure on website in terms of LODR Regulation

Sr

SrItemCompliance status (Yes/No/NA)If status is “No” details of non-compliance may be given here.Web address
As per regulation 46(2) of the LODR:
1.1Details of businessYeshttps://www.jkumar.com/about-us
1.2Memorandum of Association and Articles of AssociationYeshttps://www.jkumar.com/storage/reportFile/COI_MOA_AOA_WEBSITE.pdf
1.3Brief profile of board of directors including directorship and full-time positions in body corporatesYeshttps://www.jkumar.com/our-leadership
2Terms and conditions of appointment of independent directorsYeshttps://www.jkumar.com/storage/reportFile/policies/code-of-conduct-for-directors-and-senior-management.pdf
3Composition of various committees of board of directorsYeshttps://www.jkumar.com/storage/reportFile/BoardCommittees.pdf
4Code of conduct of board of directors and senior management personnelYeshttps://www.jkumar.com/storage/reportFile/policies/code-of-conduct-for-directors-and-senior-management.pdf
5Details of establishment of vigil mechanism/ Whistle Blower policyYeshttps://www.jkumar.com/storage/reportFile/policies/whistle-blower-policy-jki.pdf
6Criteria of making payments to non-executive directorsYeshttps://www.jkumar.com/storage/reportFile/policies/criteria-of-making-payments-to-non-executive-directors.pdf
7Policy on dealing with related party transactionsYeshttps://www.jkumar.com/storage/reportFile/POLICY_RPT.pdf
8Policy for determining ‘material’ subsidiariesYeshttps://www.jkumar.com/storage/reportFile/JKIL_Determining%20Material%20Subsidiary%20Policy.pdf
9Details of familiarization programmes imparted to independent directorsYeschrome-extension://efaidnbmnnnibpcajpcglclefindmkaj/https://www.jkumar.com/storage/reportFile/FAMILIARISATION_2025-26.pdf
10Email address for grievance redressal and other relevant detailsYeshttps://www.jkumar.com/contact
11Contact information of the designated officials of the listed entity who are responsible for assisting and handling investor grievancesYeshttps://www.jkumar.com/contact
12Financial resultsYeshttps://www.jkumar.com/investor-corner/financials-and-reports
13Shareholding patternYeshttps://www.jkumar.com/investor-corner/disclosures-under-regulation-46-of-sebi-lodr-and-shareholders-data/shareholding-pattern
14Details of agreements entered into with the media companies and/or their associatesNA

Annexure II to be submitted by listed entity at the end of the financial year (for the whole of financial year)

I. Disclosure on website in terms of LODR Regulation

Sr

As per regulation 46(2) of the LODR:
15.1(I) Schedule of analyst or institutional investor meet (II) Presentations prepared by the listed entity for analysts or institutional investors meet, post earnings or quarterly calls prior to beginning of such events.Yeshttps://www.jkumar.com/investor-corner/investor-information/transcript-of-conference-call
15.2Audio recordings, video recordings, if any, and transcripts of post earnings or quarterly calls, by whatever name called, conducted physically or through digital meansYeshttps://www.jkumar.com/investor-corner/investor-information/transcript-of-conference-call
16New name and the old name of the listed entityNA
17Advertisements as per regulation 47 (1)Yeshttps://www.jkumar.com/investor-corner/investor-information/stock-exchange-disclousers
18Credit rating or revision in credit rating obtainedYeshttps://www.jkumar.com/investor-corner/investor-information/stock-exchange-disclousers
19Separate audited financial statements of each subsidiary of the listed entity in respect of a relevant financial yearYeshttps://www.jkumar.com/investor-corner/financials-and-reports/financials-of-subsidiary-companies
20Secretarial Compliance ReportYeshttps://www.jkumar.com/investor-corner/disclosures-under-regulation-46-of-sebi-lodr-and-shareholders-data/annual-secretarial-compliances
21Materiality Policy as per Regulation 30 (4)Yeshttps://www.jkumar.com/storage/reportFile/policies/policy-on-determination-of-materiality-of-events.pdf
22Disclosure of contact details of KMP who are authorized for the purpose of determining materiality as required under regulation 30(5)Yeshttps://www.jkumar.com/contact
23Disclosures under regulation 30(8)Yeshttps://www.jkumar.com/investor-corner/investor-information/stock-exchange-disclousers
24Statements of deviation(s) or variations(s) as specified in regulation 32NA
25Dividend Distribution policy as per Regulation 43A(1)Yeschrome-extension://efaidnbmnnnibpcajpcglclefindmkaj/https://www.jkumar.com/storage/reportFile/policies/dividend-distribution-policy.pdf
26.1Annual return as provided under section 92 of the Companies Act, 2013Yeshttps://www.jkumar.com/investor-corner/disclosures-under-regulation-46-of-sebi-lodr-and-shareholders-data/annual-returns
26.2Employee Benefit scheme documents framed in terms of SEBI (SBEB) Regulations, 2021NA
27Confirmation that the above disclosures are in a separate section as specified in regulation 46(2)Yeshttps://www.jkumar.com/investor-corner/disclosures-under-regulation-46-of-sebi-lodr-and-shareholders-data
28Compliance with regulation 46(3) with respect to accuracy of disclosures on the website and timely updatingYeshttps://www.jkumar.com/investor-corner/disclosures-under-regulation-46-of-sebi-lodr-and-shareholders-data


Annexure II

II. Annual Affirmations

SrParticularsRegulation NumberCompliance status (Yes/No/NA)If status is “No” details of non-compliance may be given here.
1Independent director(s) have been appointed in terms of specified criteria of ‘independence’ and/or ‘eligibility’16(1)(b)Yes
2Board composition17(1), 17(1A) & 17(1C), 17(1D) & 17(1E)Yes
3Meeting of Board of directors17(2)Yes
4Quorum of Board meeting17(2A)Yes
5Review of Compliance Reports17(3)Yes
6Plans for orderly succession for appointments17(4)Yes
7Code of Conduct17(5)Yes
8Fees/compensation17(6)Yes
9Minimum Information17(7)Yes
10Compliance Certificate17(8)Yes

Annexure II

II. Annual Affirmations

SrParticularsRegulation NumberCompliance status (Yes/No/NA)If status is “No” details of non-compliance may be given here.
11Risk Assessment & Management17(9)Yes
12Performance Evaluation of Independent Directors17(10)Yes
13Recommendation of Board17(11)Yes
14Maximum number of Directorships17AYes
15Composition of Audit Committee18(1)Yes
16Meeting of Audit Committee18(2)Yes
17Role of Audit Committee and information to be reviewed by the audit committee18(3)Yes
18Composition of nomination & remuneration committee19(1) & (2)Yes
19Quorum of Nomination and Remuneration Committee meeting19(2A)Yes
20Meeting of Nomination and Remuneration Committee19(3A)Yes

Annexure II

II. Annual Affirmations

SrParticularsRegulation NumberCompliance status (Yes/No/NA)If status is “No” details of non-compliance may be given here.
21Role of Nomination and Remuneration Committee19(4)Yes
22Composition of Stakeholder Relationship Committee20(1), 20(2) & 20(2A)Yes
23Meeting of Stakeholders Relationship Committee20(3A)Yes
24Role of Stakeholders Relationship Committee20(4)Yes
25Composition and role of risk management committee21(1),(2),(3),(4)Yes
26Meeting of Risk Management Committee21(3A)Yes
27Quorum of Risk Management Committee meeting21(3B)Yes
28Gap between the meetings of the Risk Management Committee21(3C)Yes
29Vigil Mechanism22Yes
30Policy for related party Transaction23(1), (1A), (5), (6), & (8)Yes

Annexure II

II. Annual Affirmations

SrParticularsRegulation NumberCompliance status (Yes/No/NA)If status is “No” details of non-compliance may be given here.
31Prior or Omnibus approval of Audit Committee for all related party transactions23(2), (3)Yes
32Approval for material related party transactions23(4)Yes
33Disclosure of related party transactions on consolidated basis23(9)Yes
34Composition of Board of Directors of unlisted material Subsidiary24(1)NA
35Other Corporate Governance requirements with respect to subsidiary of listed entity24(2),(3),(4),(5) & (6)Yes
36Alternate Director to Independent Director25(1)NA
37Maximum Tenure25(2)Yes
38Appointment, Re-appointment or removal of an Independent Director through special resolution or the alternate mechanism25(2A)NA
39Meeting of independent directors25(3) & (4)Yes
40Familiarization of independent directors25(7)Yes

Annexure II

II. Annual Affirmations

SrParticularsRegulation NumberCompliance status (Yes/No/NA)If status is “No” details of non-compliance may be given here.
41Declaration from Independent Director25(8) & (9)Yes
42Directors and Officers insurance25(10)Yes
43Confirmation with respect to appointment of Independent Directors who resigned from the listed entity25(11)NA
44Memberships in Committees26(1)Yes
45Affirmation with compliance to code of conduct from members of Board of Directors and Senior management personnel26(3)Yes
46Policy with respect to Obligations of directors and senior management26(2) & 26(5)Yes
47Approval of the Board and shareholders for compensation or profit sharing in connection with dealings in the securities of the listed entity26(6)NA
48Vacancies in respect Key Managerial Personnel26A(1) & 26A(2), 26A(3)NA
Any other information to be provided - Add Notes




Annexure II

1Name of signatoryKamal J. Gupta
2DesignationManaging Director



Annexure II

III. Affirmations

SrParticularsCompliance status (Yes/No/NA)
1The Listed Entity has approved Material Subsidiary Policy and the Corporate Governance requirements with respect to subsidiary of Listed Entity have been compliedYes
Any other information to be provided




Annexure II

1Name of signatoryKamal J. Gupta
2DesignationManaging Director




Additional Half yearly Disclosure DISCLOSURE OF LOANS / GUARANTEES / COMFORT LETTERS / SECURITIES ETC. (applicable only for half-yearly filings)

Any Other Information for Disclosure of Loans / Guarantees / Comfort Letters / Securities Etc.Textual Information(1)

I. Disclosure of Loans/ guarantees/comfort letters /securities etc. Refer note below

(A)Any loan or any other form of debt advanced by the listed entity directly or indirectly to
EntityAggregate amount advanced during six monthsBalance outstanding at the end of six months
Promoter or any other entity controlled by them00
Promoter Group or any other entity controlled by them00
Directors (including relatives) or any other entity controlled by them00
KMPs or any other entity controlled by them00

(B) Any guarantee / comfort letter (by whatever name called) provided by the listed entity directly or indirectly, in connection with any loan(s) or any other form of debt availed By

EntityType (guarantee, comfort letter etc.)Aggregate amount of issuance during six monthsBalance outstanding at the end of six months(taking into account any invocation)
Promoter or any other entity controlled by them000
Promoter Group or any other entity controlled by them000
Directors (including relatives) or any other entity controlled by them000
KMPs or any other entity controlled by them000

(C) Any security provided by the listed entity directly or indirectly, in connection with any loan(s) or any other form of debt availed by

EntityType of security (cash, shares etc.)Aggregate value of security provided during six monthsBalance outstanding at the end of six months
Promoter or any other entity controlled by them000
Promoter Group or any other entity controlled by them000
Directors (including relatives) or any other entity controlled by them 000
KMPs or any other entity controlled by them000
(D) Additional InformationTextual Information(2)

II. Affirmations

AffirmationsCompliance StatusCompany Remarks
All loans (or other form of debt), guarantees, comfort letters (by whatever name called) or securities in connection with any loan(s) (or other form of debt) given directly or indirectly by the listed entity to promoter(s), promoter group, director(s) (including their relatives), key managerial personnel (including their relatives) or any entity controlled by them are in the economic interest of the company.YesTextual Information(3)
Name Vasant Savla
Designation CFO
Place Mumbai
Date16-04-2026

Details of Cyber security incidence

Whether as per Regulation 27(2)(ba) of SEBI (LODR) Regulations, 2015 there has been cyber security incidents or breaches or loss of data or documents during the quarterNo
Number of cyber security incidence or breaches or loss of data event occurred during the quarter
Sr.Date of the eventBrief details of the event



Signatory Details

Name of signatoryKamal J. Gupta
Designation of personManaging Director
PlaceMumbai
Date16-04-2026



Investor Grievance Details

No. of investor complaints pending at the beginning of Quarter0
No. of investor complaints received during the Quarter2
No. of investor complaints disposed off during the Quarter2
No. of investor complaints those remaining unresolved at the end of the Quarter0



Disclosure of Updates to Ongoing Tax Litigations or Disputes The updates on tax litigations or disputes in terms of sub-para 8 of para B of Part A of Schedule III read with corresponding provisions of Annexure 18 of the Master Circular are given below:

Any Other Information for Disclosure of Updates to Ongoing Tax Litigations or Disputes
Sr. No.Name of the opposing partyDate of initiation of the litigation / disputeStatus of the litigation / dispute as per last disclosureCurrent status of the litigation / dispute
1Jkumar Infraprojects Ltd v/s. Income Tax Department13-08-2024The appeal of the Company and Income Tax department before Hon'ble ITAT has been disposed off in favour of the company. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the company is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. The order giving effect to the ITAT order is pending before AO. Once the order giving effect is passed the company does not expect tax liabilityNo change
2Jkumar Infraprojects Ltd v/s. Income Tax Department13-08-2024The appeal of the Company and Income Tax department before Hon'ble ITAT has been disposed off in favour of the company. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the company is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. The order giving effect to the ITAT order is pending before AO. Once the order giving effect is passed the company does not expect tax liabilityThe appeal of the Company and Income Tax department before Hon'ble ITAT has been disposed off in favour of the company. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the company is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. Demand of Rs. 0.10 cr has reduced to Rs. NIL After OGE to the ITAT order.
3Jkumar Infraprojects Ltd v/s. Income Tax Department13-08-2024The appeal of the Company and Income Tax department before Hon'ble ITAT has been disposed off in favour of the company. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the company is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. The order giving effect to the ITAT order is pending before AO. Once the order giving effect is passed the company does not expect tax liabilityNo Change
4Income Tax Department V/s. Jkumar Infraprojects Ltd06-09-2024The appeal of the Company and Income Tax department before Hon'ble ITAT has been disposed off in favour of the company. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the company is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. The order giving effect to the ITAT order is pending before AO. Once the order giving effect is passed the company does not expect tax liabilityNo Change
5Income Tax Department V/s. Jkumar Infraprojects Ltd06-09-2024The appeal of the Company and Income Tax department before Hon'ble ITAT has been disposed off in favour of the company. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the company is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. The order giving effect to the ITAT order is pending before AO. Once the order giving effect is passed the company does not expect tax liabilityThe appeal of the Company and Income Tax department before Hon'ble ITAT has been disposed off in favour of the company. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the company is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. Demand of Rs. 1.32 cr has reduced to Rs. NIL After OGE to the ITAT order.
6Income Tax Department V/s. Jkumar Infraprojects Ltd06-09-2024The appeal of the Company and Income Tax department before Hon'ble ITAT has been disposed off in favour of the company. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the company is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. The order giving effect to the ITAT order is pending before AO. Once the order giving effect is passed the company does not expect tax liabilityNo Change
7Jkumar Infraprojects Ltd v/s. Income Tax Department28-03-2025The Company is in appeal before hon'ble ITAT for AY 2023-24. However, the issues are covered by the earlier ITAT order. Hence the company does not expect any tax liability.No Change
8Income Tax Department V/s. Jkumar Infraprojects Ltd17-04-2025The Company is in appeal before hon'ble ITAT for AY 2023-24. However, the issues are covered by the earlier ITAT order. Hence the company does not expect any tax liability.No Change
9Income Tax Department V/s. Jkumar Infraprojects Ltd25-04-2025The Income Tax department is in appeal before hon'ble ITAT for AY 2013-14. However, the issues are covered by the earlier ITAT order. Hence the company does not expect any tax liability.The appeal of the Income Tax department before Hon'ble ITAT has been disposed off in favour of the company. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the company is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. The order giving effect to the ITAT order is pending before AO. Once the order giving effect is passed the company does not expect tax liability
10Income Tax Department V/s. Jkumar Infraprojects Ltd25-04-2025The Income Tax department is in appeal before hon'ble ITAT for AY 2014-15. However, the issues are covered by the earlier ITAT order. Hence the company does not expect any tax liability.The appeal of the Company and Income Tax department before Hon'ble ITAT has been disposed off in favour of the company. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the company is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. Demand of Rs. 1.79 cr has reduced to Rs. NIL After OGE to the ITAT order.
11Income Tax Department V/s. Jkumar Infraprojects Ltd25-04-2025The Income Tax department is in appeal before hon'ble ITAT for AY 2015-16. However, the issues are covered by the earlier ITAT order. Hence the company does not expect any tax liability.The appeal of the Company and Income Tax department before Hon'ble ITAT has been disposed off in favour of the company. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the company is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. Demand of Rs. 2.78 cr has reduced to Rs. NIL After OGE to the ITAT order.
12Jkumar Infraprojects Ltd v/s. Income Tax Department03-02-2026The appeal of the Company and Income Tax department before Hon'ble ITAT has been disposed off in favour of the company. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the company is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. The order giving effect to the ITAT order is pending before AO. Once the order giving effect is passed the company does not expect tax liabilityMatter is sub judice before the Hon'ble High court for AY 2019-20
13Jkumar Infraprojects Ltd v/s. Income Tax Department03-02-2026The appeal of the Company and Income Tax department before Hon'ble ITAT has been disposed off in favour of the company. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the company is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. The order giving effect to the ITAT order is pending before AO. Once the order giving effect is passed the company does not expect tax liabilityMatter is sub judice before the Hon'ble High court for AY 2020-21
14Jkumar Infraprojects Ltd v/s. Income Tax Department03-02-2026The appeal of the Company and Income Tax department before Hon'ble ITAT has been disposed off in favour of the company. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the company is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. The order giving effect to the ITAT order is pending before AO. Once the order giving effect is passed the company does not expect tax liabilityMatter is sub judice before the Hon'ble High court for AY 2021-22
15Jkumar Infraprojects Ltd v/s. Income Tax Department03-02-2026The appeal of the Company and Income Tax department before Hon'ble ITAT has been disposed off in favour of the company. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the company is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. The order giving effect to the ITAT order is pending before AO. Once the order giving effect is passed the company does not expect tax liabilityMatter is sub judice before the Hon'ble High court for AY 2022-23
16Income Tax Department V/s. Jkumar Infraprojects Ltd16-01-2023The ITAT order is on factual findings for AY 2016-17. Hence the company does not expect the appeal of the department to be admitted by Hon'ble High court. In view of the same no tax liability is expected.No Change
17Income Tax Department V/s. Jkumar Infraprojects Ltd13-01-2023The ITAT order is on factual findings for AY 2016-17. Hence the company doesnot expect the appeal of the department to be admitted by Hon'ble High court. In view of the same no tax liability is expected.No Change
18Income Tax Department V/s. Jkumar Infraprojects Ltd13-12-2022The ITAT order is on factual findings for AY 2015-16. Hence the company doesnot expect the appeal of the department to be admitted by Hon'ble High court. In view of the same no tax liability is expected.No Change
19Income Tax Department V/s. Jkumar Infraprojects Ltd26-06-2018The ITAT order is on factual findings for AY 2010-11. Hence the company doesnot expect the appeal of the department to be admitted by Hon'ble High court. In view of the same no tax liability is expected.No Change
20Income Tax Department V/s. Jkumar Infraprojects Ltd26-06-2018The ITAT order is on factual findings for AY 2011-12. Hence the company doesnot expect the appeal of the department to be admitted by Hon'ble High court. In view of the same no tax liability is expected.No Change
21Income Tax Department V/s. Jkumar Infraprojects Ltd26-06-2018The appeal for AY 2012-13 is admitted by Hon'ble High court. Date of hearing is awaitedAppeal of Department before High Court dismissed on 11/11/2025
22Jkumar Infraprojects Ltd v/s. Service Tax Department12-03-2019No ChangeNo Change
23Jkumar Infraprojects Ltd v/s. Service Tax Department03-08-2018No ChangeNo Change
24Jagdishkumar Gupta (Promoter) v/s Income Tax Department13-08-2024The appeal of the assessee and Income Tax department before Hon'ble ITAT has been disposed off in favour of the assessee. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the assessee is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. The order giving effect to the ITAT order is pending before AO. Once the order giving effect is passed the assessee does not expect tax liabilityFor AY 2019-20, the appeal of the assessee and Income Tax department before Hon'ble ITAT has been disposed off in favour of the company. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the company is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings.
25Jagdishkumar Gupta (Promoter) v/s Income Tax Department13-08-2024The appeal of the assessee and Income Tax department before Hon'ble ITAT has been disposed off in favour of the assessee. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the assessee is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. The order giving effect to the ITAT order is pending before AO. Once the order giving effect is passed the assessee does not expect tax liabilityFor AY 2021-22, the appeal of the assessee and Income Tax department before Hon'ble ITAT has been disposed off in favour of the company. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the company is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings.
26Jagdishkumar Gupta (Promoter) v/s Income Tax Department13-08-2024The appeal of the assessee and Income Tax department before Hon'ble ITAT has been disposed off in favour of the assessee. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the assessee is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. The order giving effect to the ITAT order is pending before AO. Once the order giving effect is passed the assessee does not expect tax liabilityNo Change
27Kamal Gupta (Promoter) v/s Income Tax Department16-08-2024The appeal of the assessee before Hon'ble ITAT has been disposed off. The order giving effect to the ITAT order is pending before AO. Once the order giving effect is passed the assessee does not expect tax liabilityNo Change
28Nalin Gupta (Promoter) v/s Income Tax Department16-08-2024The appeal of the assessee before Hon'ble ITAT has been disposed off. The order giving effect to the ITAT order is pending before AO. Once the order giving effect is passed the assessee does not expect tax liabilityNo Change
29Jagdishkumar Gupta (Promoter) v/s Income Tax Department06-09-2024The appeal of the assessee and Income Tax department before Hon'ble ITAT has been disposed off in favour of the assessee. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the assessee is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. The order giving effect to the ITAT order is pending before AO. Once the order giving effect is passed the assessee does not expect tax liabilityFor AY 2019-20, the appeal of the assessee and Income Tax department before Hon'ble ITAT has been disposed off in favour of the company. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the company is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings.
30Income Tax Department v/s Jagdishkumar Gupta (Promoter) 06-09-2024The appeal of the Income Tax department before Hon'ble ITAT has been disposed off in favour of the assessee. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the assessee is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. The order giving effect to the ITAT order is pending before AO. Once the order giving effect is passed the assessee does not expect tax liabilityFor AY 2020-21, the appeal of the assessee and Income Tax department before Hon'ble ITAT has been disposed off in favour of the company. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the company is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings.
31Income Tax Department v/s Jagdishkumar Gupta (Promoter) 06-09-2024The appeal of the assessee and Income Tax department before Hon'ble ITAT has been disposed off in favour of the assessee. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the assessee is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. The order giving effect to the ITAT order is pending before AO. Once the order giving effect is passed the assessee does not expect tax liabilityThe appeal of the assessee and Income Tax department before Hon'ble ITAT has been disposed off in favour of the company. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the company is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings.
32Income Tax Department v/s Jagdishkumar Gupta (Promoter) 06-09-2024The appeal of the assessee and Income Tax department before Hon'ble ITAT has been disposed off in favour of the assessee. The Income Tax department has the option of filing appeal before Hon'ble High court. However, the assessee is confident that the appeal of Income Tax department will not be admitted due to the reason that the ITAT decision is on factual findings. The order giving effect to the ITAT order is pending before AO. Once the order giving effect is passed the assessee does not expect tax liabilityNo Change
33Income Tax Department v/s Jagdishkumar Gupta (Promoter) 28-03-2025The assessee is in appeal before hon'ble ITAT for AY 2023-24. However, the issues are covered by the earlier ITAT order. Hence the assessee does not expect any substantial liability.No Change
34Jagdishkumar Gupta (Promoter) v/s Income Tax Department17-04-2025No ChangeNo Change
35Income Tax Department v/s Jagdishkumar Gupta (Promoter) 30-04-2025The Income Tax department is in appeal before hon'ble ITAT for AY 2022-23. However, the issues are covered by the earlier ITAT order. Hence the assessee does not expect any substantial liability.No Change
36Income Tax Department v/s Nalin Gupta (Promoter) 17-04-2025No ChangeNo Change
37Commissioner CGST & CX Appeals (III)30-12-2025The Company has filed an appeal before the Commissioner (Appeals) and does not expect any significant liabilityThe Company has filed an appeal before the Commissioner (Appeals) and does not expect any significant liability
38Commissioner Appeals Vyapar Bhavan Delhi28-02-2025The Company has filed an appeal before the Commissioner (Appeals) and does not expect any significant liabilityThe Company has filed an appeal before the Commissioner (Appeals) and does not expect any significant liability
39Commissioner of CGST Appeals Gujarat17-12-2025The Company has filed an appeal before the Commissioner (Appeals) and does not expect any significant liabilityThe Company has filed an appeal before the Commissioner (Appeals) and does not expect any significant liability
40BMC/MMRDA13-01-2025The Company has received property tax demands from the Municipal Corporation of Greater Mumbai (BMC) aggregating to approximately INR 555.81 crores in respect of properties leased from MMRDA. The Company maintains that liability for such tax rests with MMRDA in terms of the applicable lease agreements and tender documents and has obtained legal opinion supporting its position, while evaluating appropriate legal remedies. Similar writ petitions have been filed by other contractors before the Hon’ble Bombay High Court, wherein interim protection has been granted against coercive recovery actions. Further, J. Kumar-CRTG JV has filed a Writ Petition before the Hon’ble Bombay High Court against MCGM, MMRDA, and the State of Maharashtra challenging the property tax demand of INR 23,71,93,493 (approximately INR 23.72 crores) in respect of the Malwani Casting Yard. The matter is currently sub judice before the Hon’ble Bombay High Court, and the proceedings are being contested.Pending
411. Municipal Corporation of Greater Mumbai (MCGM/BMC) 2. Mumbai Metropolitan Region Development Authority (MMRDA) 3. State of Maharashtra28-10-2025J. Kumar-CRTG JV has filed a Writ Petition before the Hon’ble Bombay High Court challenging property tax demands and related notices/orders issued by the Municipal Corporation of Greater Mumbai (BMC) aggregating to INR 23,71,93,493 (approximately INR 23.72 crores) in respect of land used as a casting yard for the Mumbai Metro Project, specifically the Malwani Casting Yard. The Company has, inter alia, contended that the levy is not applicable and is contrary to the applicable contractual and legal framework. The matter is currently sub judice before the Hon’ble Bombay High Court, and the proceedings are being contested.Pending
421. Vanashakti (Public Trust) 2. Stalin Dayanand (Director, Vanashakti) 27-12-2024Vanashakti has filed an Original Application before the National Green Tribunal, Western Zone Bench, Pune, raising environmental concerns regarding illegal construction and operation of Casting Yard and Cement Mixing Plants by J. Kumar Infraprojects Limited (“The Company”) within the Eco-Sensitive Zone (“ESZ”) of Sanjay Gandhi National Park (“SGNP”), Mumbai, Maharashtra. Vanashakti contends that these activities result in serious environmental degradation, including unauthorized clearing of forested land, dust pollution, habitat disruption, and illegal encroachments, in violation of the ESZ Notification dated December 5, 2016, and multiple environmental laws. Despite repeated representations and RTI queries, alleged regulatory inaction has allowed continued polluting operations, posing severe risks to biodiversity and local communities. Vanashakti seeks an immediate cessation of these activities, demolition of illegal structures, penalties for violators, and restoration of the damaged ecological areas. The Company refutes these claims categorically, asserting the Original Application is misconceived, lacking any legal or factual basis, and barred by limitation. JKIL states that its operations relate exclusively to authorized casting yard activities for the Mumbai Metro Rail Project, with Ready-Mix Concrete (“RMC”) plants having been closed following directions from the Maharashtra Pollution Control Board (“MPCB”). The Company emphasizes that all requisite approvals and consents were duly obtained from regulatory authorities, including MPCB, the Thane Municipal Corporation, and the ESZ Monitoring Committee, which explicitly permits infrastructure projects of national importance like the Mumbai Metro within the ESZ. JKIL highlights that the ESZ Notification exempts such projects, and that retrospective application of restrictions to the ongoing metro works is legally untenable. The Company further contends that no credible expert evidence exists to substantiate environmental harm from its operations, which are vital public infrastructure initiatives intended to improve urban mobility and reduce pollution. Both parties are engaged in ongoing proceedings before the Honourable National Green Tribunal, with the Company praying for dismissal of the Application on grounds of maintainability, limitation, and lack of merit, while underscoring the need to balance environmental protection with critical infrastructure development.Pending
43Vighnaharta Enterprises22-08-2025Vighnaharta Enterprises has raised a claim of Rs. 3.60 Crores against J Kumar Infraprojects Limited (“The Company”) as outstanding dues for civil engineering utility diversion works and commercial vehicle hire services provided under contract with Mumbai Metropolitan Region Development Authority (MMRDA) for the Mumbai Metro Project. Vighnaharta Enterprises maintains that the amounts are payable as per certified work completion, statutory timelines under the MSMED Act, and admitted ledger entries by Then Company. Vighnaharta Enterprises has obtained legal advice supporting the legitimacy of its claim and is in the process of pursuing insolvency proceedings under the Insolvency and Bankruptcy Code, 2016, to recover the outstanding operational debt. The Company refutes the claim of operational debt, asserting the existence of significant and bona fide disputes related to quality of work, pending defect liability periods, and recoveries initiated by MMRDA for substandard performance by Vighnaharta Enterprises. The Company contends that the insolvency petition is an abuse of process, filed without admitted liability, and amounts to a coercive recovery attempt outside the scope of insolvency law. The Company emphasizes its strong financial position, ongoing infrastructure commitments, and asserts that the dispute is contractual and ought to be adjudicated in competent civil or arbitral forums, not via insolvency proceedings. There are ongoing legal proceedings where both parties are engaged, and similar disputes are being addressed by appropriate judicial authorities. The Hon’ble National Company Law Tribunal is seized of the matter, and the parties await its decision on the maintainability and merits of the insolvency petition filed by Vighnaharta Enterprises against The Company.The matter has been amicably settled between the parties, pursuant to which the insolvency proceedings have been disposed of by the Hon’ble National Company Law Tribunal, Mumbai Bench.
44MMRDA (Mumbai Metropolitan Region Development Authority)06-05-2025J Kumar Infraprojects Limited (“the Company”) has filed a writ petition before the Hon’ble High Court against Mumbai Metropolitan Region Development Authority (“MMRDA”) in relation to Contract No. MMRDA/MMRP/L-2B-C101 pertaining to the execution of the Mumbai Metro Rail Project (Line 2B). The dispute relates to non-adjustment of the contract price following the revision in the Goods and Services Tax (“GST”) rate from 12% to 18% with effect from July 2022, as notified by the GST Council. Despite representations made by the Company and certifications issued by the Engineer under the contract, MMRDA has withheld an amount aggregating to Rs. 34.27 Crores, treating the Company’s bills as inclusive of the revised GST rate. The Company has sought appropriate judicial directions for release of the withheld amount and revision of the contract price and has placed reliance on precedents involving similar GST-related contract price adjustments granted by public authorities, including matters relating to Pune Metropolitan Region Development Authority. The writ petition is pending before the Hon’ble Court.Pending
45MMRDA (Mumbai Metropolitan Region Development Authority)06-05-2025J Kumar Infraprojects Limited (“the Company”) has filed a writ petition before the Hon’ble High Court against Mumbai Metropolitan Region Development Authority (“MMRDA”) in relation to Contract No. MMRDA/MMRP/ML4A/CA-54 pertaining to the execution of the Mumbai Metro Line 4A Project. The dispute relates to non-adjustment of the contract price pursuant to the revision in the Goods and Services Tax (“GST”) rate from 12% to 18% with effect from 18 July 2022, as notified by the GST Council. Despite representations made by the Company and certifications issued by the Engineer under the contract, MMRDA has withheld an amount aggregating to Rs. 16.36 Crores towards differential GST, treating the Company’s bills as inclusive of the revised GST rate. The Company has sought appropriate judicial directions for release of the withheld amount and revision of the contract price and has placed reliance on precedents involving similar GST-related contract price adjustments granted by public authorities, including matters relating to Pune Metropolitan Region Development Authority. The writ petition is pending before the Hon’ble Court. Further, similar GST-related claims aggregating to Rs. 42.63 Crores in respect of the Mumbai Metro Line 9 Project and Rs. 20.62 Crores in respect of the Mumbai Metro Line 7A Project are also under dispute and are presently at the pre-admission stage before the appropriate judicial forums. Pending