The Company has laid down an appropriate grievance redressal mechanism within the organization to resolve disputes arising in this regard.
The Company shall display the following information prominently, for the benefit of its customers, at its branches / places where business is transacted:
The Company has appointed Principal Nodal Officer in accordance with the directions provided under the Reserve Bank – Integrated Ombudsman Scheme, 2021.
The Company has appointed the Internal Ombudsman under the RBI circular on ‘Appointment of Internal Ombudsman by Non-Banking Financial Companies’ dated November 15, 2021.
The Company has a built-in re-possession clause in the contract/ loan agreement with the borrower which is legally enforceable. To ensure transparency, the terms and conditions of the contract/ loan agreement contains provisions regarding:
A copy of such terms and conditions is made available to the borrower in the Loan Agreement executed between the Company and the borrower.
The Company will, irrespective of whether they lend through their own digital lending platform or through an outsourced lending platform, adhere to this Fair Practices Code.
RBI vide its circular dated September 2, 2022, has issued “Guidelines on Digital Lending” (“RBI Guidelines”). As per RBI Guidelines, the Company will make following disclosure to borrowers or all digital lending products of the Company:
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