Page 304 - BCML AR 2019-20
P. 304

FINANCIAL STATEMENTS

          Notes forming part of the Consolidated Financial Statements



          Note No. : 37 Other disclosures (Contd.)
          14.  Disclosure under Schedule V to the SEBI (Listing Obligations and Disclosure Requirements) Regulations, 2015
             The Company has neither given any loan nor has advanced any amount either during the year ended 31st March, 2020 or year ended
             31st March, 2019. Hence, the requirements under the said Schedule is not applicable to the Company and no information is required
             to be disclosed.
          15.  Details of Investments covered under section 186 (4) of the Companies Act, 2013 :
             Details of investments made are given under the respective note.
          16.  (a)  The  Hon’ble High Court at  Allahabad, Lucknow Bench,  vide  its order dated 12th February, 2019 (“Order”) had  quashed   the  G.O.
                dated 4th June, 2007, vide which the Sugar Industry Promotion Policy 2004  (“SIPP”) was withdrawn, and held that the petitioner
                companies  were entitled for all the benefits  for the entire period of the validity  of SIPP . Consequent to this, the Company in
                respect  of its capital projects and expansions  during the period from 2004 to 2008 is entitled for capital subsidy, reimbursement
                of certain expenses, remission of certain taxes and levies in accordance with the provision of the said policy.
                The State Government of UP and others  have filed Special Leave Petitions challenging the said Order before the Hon’ble Supreme
                Court of India and  the cases are pending for hearing as on 31st March, 2020. Pending this, the Company’s claim for reimbursement
                of H 33654.94 Lacs and capital subsidy of  H 13137.77 Lacs pursuant to SIPP being contingent in nature, has not been recognised.
             (b)  In terms of SIPP, the Company availed remission of taxes and levies, namely, Entry Tax on Sugar, Trade Tax on Molasses and Cane
                Purchase Tax, Stamp duty and registration charges on purchase of land aggregating to H 11278.45 Lacs in earlier years. These
                remissions were availed pursuant to protection earlier provided by the Hon’ble High Court at Allahabad, which has been confirmed
                pursuant to the Order of the said court as given in Note No. 37(16)(a) above.
                In the assessment of Entry Tax on Sugar and Trade Tax on Molasses relating to four sugar units, namely, Akbarpur, Mankapur, Kumbhi
                and Gularia aggregating to H 6300.63 Lacs (including H 26.62 Lacs pertaining to the year 2017-18, from April 2017 to June 2017,
                determined during the year ended 31st March, 2020) has been assessed, though these units are also eligible for the remission under
                the SIPP. However, no demand has been raised and pursued against the Company in view of the protection by the Hon’ble High
                Court as aforesaid. Since these units are eligible for incentive under SIPP and no demand has yet been raised against the Company,
                the aforesaid amount of H 6300.63 Lacs has not been considered as contingent liability.
          17.  Impact of COVID-19 Pandemic
             During March 2020, the COVID-19 outbreak was declared a pandemic by the World Health Organisation. The Covid -19 pandemic and
             the consequent lockdown restrictions imposed by the Central and State Governments have impacted business in general. However,
             since, Company is engaged in the manufacturing of sugar, generation of power and production of Ethanol and other Industrial Alcohol,
             which all fall under the category of essential commodities and thus, the activities of the Company were being carried out in the normal
             course under the directives issued by the Ministry of Home Affairs and State Government.
             Owing to lock-down demand for sugar was impacted to some extent which is gradually coming to its normal level. In the distillery
             segment, the Oil Marketing Companies had actively re-allocated the quantities to the new depots to arrest the initial impact on the slow
             lifting of Ethanol.
             The Company’s capital and financial resources are well placed and have not been impacted because of the Covid-19. The Company has
             enough liquidity to meet all its obligations/liabilities and does not expect to face any liquidity crunch.
             Overall, Company does not foresee any significant impact on the operational results and the financial health as sugar and allied
             businesses which the Company operates are all essential products and as such demand of the products will return to a large extent as
             and when the situation normalizes.
          18.  (a)    The  Board  of  Directors  of  the  Company  at  its  meeting  held  on  15th  September,  2017  considered  and  approved  cumulative
                investment of  H 17500.00 Lacs in tranches over a period of five years in Auxilo Finserve Private Limited (“AFPL”), an unlisted NBFC
                based in India and engaged in financing activities in education sector.

                The Company has so far acquired 15,50,00,000 (Previous Year: 7,50,00,000 ) Equity shares of AFPL having par value H 10 each with
                total cost of H 15750.00 Lacs (Previous Year: H 7500.00 Lacs ) on preferential issue basis constituting 45.05% (Previous Year: 50.00%).
                Though, it’s proportionate shareholding has come down to 45.05% as at 31st March 2020 due to investment made by an external
                investor, AFPL continues to be an associate of the Company. Gain in proportionate net asset value of equity share held by the
                Company amounting to H 532.51 Lacs consequent to said dilution in equity shareholding has been recognized under the ‘Equity
                method of accounting’ according to “Ind AS” - 28 and included under “Other Income”.



          302 | Balrampur Chini Mills Limited
   299   300   301   302   303   304   305   306   307   308   309