RBI Penalties Report – 16th October 2025

The Ghatal Peoples Co-operative Bank Limited, West Bengal

Penalty Imposed: ₹5.50 Lakh (Rupees Five Lakh Fifty Thousand Only)

Key Details (Violation Summary)

Inspection DateMarch 31, 2024 (Financial Position)
Penalty Order DateSeptember 26, 2025
Violations
  • 1. Failure to carry out periodic review of risk categorisation of accounts (at least once in six months).
  • 2. Failure to upload KYC records of customers onto Central KYC Records Registry (CKYCR) within the prescribed timeline.

Root Cause Analysis (RCA) – Inferred

  • Systemic Gaps: Lack of automated processes for risk review and CKYCR uploads, leading to reliance on manual, error-prone workflows.
  • Resource/Training Deficit: Insufficient dedicated staff or lack of comprehensive training on the periodicity (six months) of risk categorization review.
  • Technical Integration: Inadequate system integration between the core banking solution and the CKYCR portal, causing delays in mandatory data submissions.

Preventive Controls

  • Automated CKYCR Process: Implement an automated module to pull new/updated KYC data from the Core Banking System (CBS) and push it to CKYCR daily or weekly.
  • Risk Categorisation Engine: Configure the CBS to automatically flag accounts for risk review on a 5-month cycle, allowing a one-month buffer for completion.
  • Mandatory Compliance Audits: Introduce monthly internal audits focusing specifically on KYC/AML compliance, CKYCR status, and risk category review completion.

Lessons Learned

  • Compliance is not a one-time activity; ongoing system-driven monitoring is mandatory, especially for periodic tasks like risk review.
  • Regulatory directives (CKYCR upload timeline) must be mapped to system processes and not left to human memory or manual intervention.

RBI Press Release

The Gopalganj Central Co-operative Bank Limited, Bihar

Penalty Imposed: ₹5.50 Lakh (Rupees Five Lakh Fifty Thousand Only)

Key Details (Violation Summary)

Inspection DateMarch 31, 2024 (Financial Position)
Penalty Order DateSeptember 26, 2025
Violations
  • 1. Contravention of Section 9 read with Section 56 of the BR Act (Failure to dispose of certain Non-Banking Assets (NBA) within the prescribed period).
  • 2. Failure to upload KYC records of customers onto Central KYC Records Registry (CKYCR) within the prescribed timeline.

Root Cause Analysis (RCA) – Inferred

  • NBA Disposal: Lack of a dedicated legal/recovery cell focused on the timely disposal of foreclosed or acquired assets, leading to administrative and legal delays.
  • CKYCR Compliance: Similar to other co-operative banks, a lack of automated data transfer and dedicated resources for timely CKYCR data feeding.

Preventive Controls

  • NBA Resolution Committee: Establish a high-level committee (Board oversight) to monitor and drive the disposal of all Non-Banking Assets on a strict quarterly timeline.
  • NBA Tracking System: Implement a dedicated system to track the legal/sale status of each NBA with mandatory escalation alerts after statutory deadlines are missed.
  • CKYCR Integration: Prioritize the technical upgrade/integration to ensure real-time or near real-time upload of KYC data upon account opening/update.

Lessons Learned

  • Statutory compliance, especially regarding Non-Banking Asset holding limits, is non-negotiable and requires aggressive, process-driven resolution.
  • Operational deficiencies (like CKYCR upload failure) often coexist with financial/asset management deficiencies, indicating a broader governance issue.

RBI Press Release

Ranaghat People’s Co-operative Bank Limited, West Bengal

Penalty Imposed: ₹5.00 Lakh (Rupees Five Lakh Only)

Key Details (Violation Summary)

Inspection DateMarch 31, 2024 (Financial Position)
Penalty Order DateSeptember 24, 2025
ViolationFailure to upload the KYC records of customers onto Central KYC Records Registry (CKYCR).

Root Cause Analysis (RCA) – Inferred

  • Procedural Oversight: Lack of defined Standard Operating Procedures (SOPs) ensuring CKYCR submission is the final step in the account opening process.
  • System Availability: Potential issues with CKYCR system downtime or poor network connectivity not being documented and addressed via defined retry mechanisms.

Preventive Controls

  • Process Enforceability: Make CKYCR enrollment a hard-stop in the account opening workflow; the account should not be fully operational until CKYC ID is received/logged.
  • System Health Monitoring: Implement daily reconciliation reports between the number of new accounts opened and the number of successful CKYCR submissions.

Lessons Learned

  • CKYCR is central to the KYC framework; its failure indicates a major lapse in the foundational AML/CFT compliance structure.
  • For large monetary penalties, the scale of non-compliance (i.e., volume of customers missed) is often a significant factor.

RBI Press Release

The Begusarai Central Co-operative Bank Limited, Bihar

Penalty Imposed: ₹1.40 Lakh (Rupees One Lakh Forty Thousand Only)

Key Details (Violation Summary)

Inspection DateMarch 31, 2024 (Financial Position – NABARD)
Penalty Order DateSeptember 24, 2025
ViolationFailure to upload the KYC records of customers onto Central KYC Records Registry (CKYCR) within the prescribed timeline.

Root Cause Analysis (RCA) – Inferred

  • Timeline Misunderstanding: Possible misinterpretation of the “prescribed timeline” by operational staff, or failure to communicate urgency from compliance to front-line.
  • IT Infrastructure: Challenges in maintaining stable internet connectivity or upgrading legacy systems required for seamless data transmission to CKYCR.

Preventive Controls

  • Time-Bound Escrow: Implement a system alert that automatically escalates un-uploaded CKYCR records to the Compliance Officer after 7 days (well within the typical prescribed timeline).
  • Refresher Training: Conduct mandatory, recorded annual training for all operations staff covering CKYCR procedures and the regulatory timelines specified by RBI.

Lessons Learned

  • The distinction between data collection (KYC) and regulatory submission (CKYCR) must be clearly segregated and managed with separate control checks.
  • Timeliness in compliance is as critical as the compliance itself, particularly for data registries.

RBI Press Release

Sahara Housingfina Corporation Limited, West Bengal (NBFC)

Penalty Imposed: ₹50,000/- (Rupees Fifty Thousand Only)

Key Details (Violation Summary)

Inspection DateMarch 31, 2024 (Financial Position – NHB)
Penalty Order DateSeptember 24, 2025
ViolationFailure to upload the KYC records of customers onto Central KYC Records Registry (CKYCR) within the prescribed timeline.

Root Cause Analysis (RCA) – Inferred

  • NBFC-Specific Focus: As an NBFC (Housing Finance Company), compliance focus may have been heavily skewed toward lending norms rather than data compliance like CKYCR.
  • Operational Bandwidth: Limited IT/compliance resources compared to full-fledged banks, resulting in delayed back-office functions.

Preventive Controls

  • Outsourcing/Third-Party Check: Leverage third-party compliance software or services to manage CKYCR data submission, reducing reliance on internal bandwidth.
  • NHB/RBI Checklist: Create a definitive checklist for all RBI/NHB compliance items, ensuring CKYCR is high-priority and not overlooked.

Lessons Learned

  • NBFCs must adhere to the same stringent KYC data submission requirements as banks; the regulatory burden is uniform.
  • Proactive compliance investments save costs, as the penalty itself exceeds the cost of minimal automation.

RBI Press Release

The Boudh Co-operative Central Bank Limited, Odisha

Penalty Imposed: ₹10,000/- (Rupees Ten Thousand Only)

Key Details (Violation Summary)

Inspection DateMarch 31, 2024 (Financial Position – NABARD)
Penalty Order DateSeptember 26, 2025
ViolationFailure to submit credit information of its customers to three Credit Information Companies (CICs).

Root Cause Analysis (RCA) – Inferred

  • Multi-CIC Oversight: Failure to recognize the regulatory mandate to report to “all” mandatory CICs, potentially reporting to only one or two.
  • Data Inconsistencies: Errors in customer data formats that prevent successful data ingestion by multiple CICs, which have slightly different data validation rules.

Preventive Controls

  • Reporting Reconciliation: Implement a dedicated daily/monthly process to ensure that the total number of accounts reported to each of the three mandatory CICs is reconciled against the Core Banking System.
  • Test Data Submission: Regularly test the data upload process with mock data for all mandated CICs to ensure continuity of reporting infrastructure.

Lessons Learned

  • Accurate and timely credit information submission is vital for financial stability and consumer protection; failure impacts the entire credit ecosystem.
  • A comprehensive “Report Card” is needed to track successful submissions to every mandated external agency (CICs, CKYCR, etc.).

RBI Press Release

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