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A Quick Heads-Up: The V3 Revolution

If you’ve been filing financials with the ROC for a while, forget what you know about the old AOC-4 PDF. The new MCA V3 form isn’t just a compliance formality; it’s a smart, interconnected system that demands real-time data consistency. Think of it as your company’s digital ledger—it has to match the master ledger (the ROC records) perfectly, or you get locked out.

The Three Biggest Headaches (And How to Fix Them)

1. The Previous Year Figure Trap

The V3 portal is smart. It pre-fills your last year’s Balance Sheet and P&L figures from your previous AOC-4 filing. If you simply copy-paste your current year’s Audited Financials, you might change the regrouping of some items (which is common).

  • The V3 Problem:If you change any of those pre-filled previous year figures, the system flags it.
  • The Human Solution:Don’t just change the number and move on! The form requires a mandatory justification/explanation for every single change. Be clear and concise: “Previous year figures regrouped as per Schedule III requirements.” Without this note, your form is dead on arrival.

2. The Hidden “Linked Filing” Forms

Remember when AOC-1 (Subsidiary details), AOC-2 (Related Party Transactions), and CSR-2 (CSR Report) were just PDF attachments? Not anymore.

  • The V3 Problem:You can’t just submit the main AOC-4. If these are applicable to your company, they are now integrated web-forms that must be completed and validated simultaneously with AOC-4.
  • The Human Solution:Before you even log in to file AOC-4, make sure you have the data ready for all linked forms. If you have a subsidiary, be ready to complete AOC-1. If you miss this, the entire filing will be rejected as incomplete.

3. New Mandatory Tick-Boxes: Non-Financial Data

The new form makes you confirm compliance on non-financial matters. Don’t gloss over these.

  • Audit Trail:You must confirm that your company’s accounting software complies with the rule requiring an Audit Trail for transactions (effective from the relevant date).
  • POSH Compliance:A mandatory field asks about the constitution of the Internal Complaints Committee (ICC) and the number of complaints received/disposed of under the Sexual Harassment of Women at Workplace Act. If this is applicable to your company (10+ employees), make sure this compliance is done before filing AOC-4.

The Golden Rule for AOC-4

File AOC-4 FIRST. The data you submit here (especially Paid-up Capital and Turnover) determines the correct MGT-7/7A form you must file next. Get AOC-4 wrong, and your MGT filing will surely hit a wall.

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Contact NIRA Associates via mobile +918588900433 or email csniraassociates@gmail.com for getting your AOC-4 filed and any other doubts resolved.

Author Bio

Qualified Company Secretary and Founder of NIRA Associates, Company Secretaries Firm. An experienced professional with a demonstrated history of working in the secretarial industry. Reach out for Legal and Statutory Compliance matters regarding Corporate Laws, Employment Laws, Labour Law, Finance, View Full Profile

My Published Posts

Step-by-Step Guide for Filing LLP Form 8 on MCA V3 Portal Step-by-Step Guide for Filing MGT-7 on MCA V3 Portal Step-by-Step Guide for Filing AOC-4 on MCA V3 Portal MGT-7/7A Filing: V3 Requirements for MCA Annual Return MCA V3 Filing Made Easy: Your Guide to AOC-4 and MGT-7A (Q&A Format) View More Published Posts

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