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The One Person Company (OPC) Compliance Paradox: Decoding the Due Dates for AOC-4 and MGT-7A

The One Person Company (OPC) under the Companies Act, 2013, enjoys significant relaxations, most notably the exemption from holding a formal Annual General Meeting (AGM). However, this very exemption often creates confusion regarding the due dates for filing its annual forms: AOC-4 (Financial Statements) and MGT-7A (Abridged Annual Return).

Here’s a straightforward guide to understanding the OPC’s annual compliance deadlines and the crucial role of the “deemed” AGM date.

1. AGM: Exempted, but not Irrelevant

The core of the matter lies in Section 96(1) of the Companies Act, 2013, which explicitly exempts an OPC from the requirement to hold an AGM.

Compliance Requirement OPC Status
Holding an AGM (Section 96) Not Applicable (Exempted)
Adoption of Financial Statements Mandatory by the sole member (via a written resolution)

2. Form AOC-4: The Strict Deadline

The due date for filing Form AOC-4 (for financial statements) is determined directly by a specific provision in Section 137(1) – The Third Proviso. This deadline is independent of the AGM.

Particulars Relevant Provision Due Date Calculation Latest Due Date (for FY ended March 31st)
AOC-4 Filing 3rd Proviso to Section 137(1) 180 days from the closure of the Financial Year. September 27th

Note: The OPC’s member must formally adopt the financial statements by a resolution before this or by this date for the filing to be valid.

3. Form MGT-7A: The “Deemed AGM” Date

While the OPC is exempt from an AGM, the filing requirement for its Annual Return (Form MGT-7A) is still linked to the standard AGM framework for non-OPC companies, which creates the “deemed AGM” concept.

Particulars Relevant Provision Due Date Calculation Latest Due Date (for FY ended March 31st)
MGT-7A Filing Section 92(4) 60 days from the date on which the AGM should have been held. November 26th
(i.e. within 60 days from September 27th)

Summary for OPC Annual Filings:

  • You do not hold an AGM. The financial statements are adopted by the sole member via a resolution entered into the minutes book.
  • The date of this member’s resolution for adoption of accounts is the date you should enter in the relevant forms (like MGT-7A, which asks for the AGM date), and this date must be on or before September 27th (for a financial year ending on March 31st).
  • In the e-form AOC-4 for OPC, there is generally a field to specify that it is an OPC and is exempt from holding an AGM (“N.A.” or “Not Applicable” for AGM). In Form MGT-7A, the date of the member’s resolution adopting the financial statements (latest being September 27th) is often used to comply with the 60-day deadline for MGT-7A (which then falls on November 26th).

Author Bio

Mayur Mazumdar is a dedicated legal professional specializing in Tax, Corporate Law, Corporate Governance and legal documentation, with a proven track record of resolving GST Litigation and ensuring secretarial compliances under corporate law and securities law. His expertise lies in navigating comp View Full Profile

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