Sanction Letter FAST8661165681156219 356627714819686
Sanction Letter FAST8661165681156219 356627714819686
Sanction Letter FAST8661165681156219 356627714819686
Process mentioned
below:
Call us at - +91 020 67808090 / 1800-266-3201
Email us at - customercare@poonawallafincorp.com
Write to us at – Poonawalla Fincorp Limited, 201 and 202,2nd Floor, AP81, Koregaon Park Annex, Mundhwa, Pune – 411036, Maha-
rashtra
Visit our website – https://poonawallafincorp.com/
Customer may refer the Grievance Redressal Mechanism as set out in the Grievance Redressal Policy at the below link for redressal
of their grievances:
URL- https://poonawallafincorp.com/pdf/Grievance-Redressal-Policy.pdf
For details of Principal Nodal Officer(s)/Nodal Officer(s) along with salient features of the Scheme of Ombudsman, customer may
refer the below link available on the website of the Company:
URL- https://poonawallafincorp.com/pdf/Nodal-Officer-and-Principal-Nodal-Officer.pdf
Overdue Classification
For a period upto 30 days SMA-0
For a period more than 30 days and upto 60 days SMA-1
For a period more than 60 days and upto 90 days SMA-2
For a period more than 90 days NPA*
Loan account once classified as NPA can be upgraded as standard only after entire arrears of principal, interest and any other
amount are paid by the borrower.
Illustration for Classification of borrowers account as SMA/NPA for easy reference:
If Due date of a Loan account repayment is April 05, 202X, then indicative SMA/NPA classification shall be as follows:
Overdue period of Principal / Interest / Any other amount SMA/NPA Classification Category SMA/NPA Classification date
Upto 30 days SMA-0 April 05, 202X
More than 30 days and upto 60 days SMA-1 May 05, 202X
More than 60 days and upto 90 days SMA-2 June 04, 202X
Over 90 days NPA July 04, 202X
• If due date of a loan account is April 05, 202X, and full dues are not received by the Company on or before this date, the date of
overdue shall be April 05, 202X and this account shall be tagged as SMA-0.
• If the loan account continues to remain overdue then this account shall be tagged as SMA-1 on May 05, 202X i.e. upon completion
of 30 days of being continuously overdue. Accordingly, the date of SMA-1 classification for that account shall be May 05, 202X.
• If the loan account continues to remain overdue, it shall be tagged as SMA-2 on June 04, 202X i.e. upon completion of 60 days of
being continuously overdue. Accordingly, the date of SMA-2 classification for that account shall be June 04, 202X.
• Similarly, if the loan account continues to remain overdue further, it shall be classified as NPA on July 04, 202X
Note: If there is any overdue in an account, the default/ non-repayment is reported with the credit bureau companies like CIBIL etc.
and the CIBIL report of the customer will reflect defaults and its classification status and no. of days for which an account remains
overdue is known as DPD (Days past due). Once an account is classified as NPAs then it shall be upgraded as ‘standard’ asset only if
entire arrears of interest and principal are paid by the borrower. Detailed illustration and information about the same is also available
in the MITC and on website(s) of PFL as well as SI Creva at “www.poonawallafincorp.com” / www.sicrevacapital.com/
KEY FACT STATEMENT
Date: 07/06/2023
Rajkot, 360050
GUJRAT
7201041417
Other Disclosures
B) Repayment Schedule
Instalment number Instalment date Principal (in Rs.) Interest (in Rs.) Instalment (in Rs.)
Note: Please note that this Key Fact Statement and the repayment schedule is applicable in respect of availing a
loan as of this moment, and is intended to be merely illustrative in case if the loan is intended to be availed in
future. For the sake of clarity, if the loan is availed in future, in that case depending upon the actual amount
intended to be availed by the borrower and the actual date of disbursement, a revised Key Fact Statement and
the repayment schedule shall be shared, before the execution of the loan contract.
Repayment
For Bank transfer mode: NIL
Convenience
For other modes: As per payment gateway charges (Inclusive of GST)
Charges
Note: The Lender/Lenders may decide to provide up to 100% waiver on 1 or more of the fees shown below, on a
case-to-case basis, to help borrowers in special situations like financial issues, medical emergencies, natural
calamities, etc. as part of the lender’s customer service initiatives. As and when any updates to the fees &
charges are introduced by the lender, the borrower shall be intimated about such changes by email or otherwise
in the manner prescribed for the same from time to time by lender. The borrower shall at all times ensure that
his/her latest mobile number and email ID is updated with the lender. The lender shall rely upon the mobile
number and email ID provided by borrower, and shall not be obliged to verify or make further inquiry into the
validity of the mobile number and email ID provided by borrower. The borrower shall in no circumstance dispute
such reliance by the lender.
Important Notes:
One-Time Overdue Charges & Daily Penalty Charge will be applied if outstanding amount repayment is
done after the scheduled due date.
18% GST on “Total Late Fee” amount is additionally applicable. System will auto-calculate Late Fees + GST
& display only the total to you.
Annualised penal charges are 26%, it will be applicable per day on the principal overdue
The total penal charges applicable, including one-time overdue charge & daily penalty charge on your
principal outstanding amount, will be capped at a maximum of Rs 3500 per EMI. The lender may decide to
provide up to 100% waiver on above penal charges, on a case-to-case basis, to help borrowers in special
situations like financial issues, medical emergencies, natural calamities, etc. as part of the lender’s
customer service initiatives.
Penal charges will be applied as per the loan product you have availed.
As and when any updates to the fees & charges are introduced by the lender, the borrower shall be
intimated about such changes by email or otherwise in the manner prescribed for the same from time to
time by lender. The borrower shall at all times ensure that his/her latest mobile number and email ID is
updated with the lender. The lender shall rely upon the mobile number and email ID provided by borrower,
and shall not be obliged to verify or make further inquiry into the validity of the mobile number and email
ID provided by borrower. The borrower shall in no circumstance dispute such reliance by the lender.
The customer can get in touch with the customer service executive over call between 9:30 am to 6:30
pm, 7 days a week & 365 days a year by dialing the above number.
Call
If the customer is unable to connect due to temporary heavy call volumes. A callback shall be
attempted, in most of the cases, by the customer services team to the customer to resolve his
query/grievances.
022 48913631
The customer can get in touch with the customer service executive over Chat (preferably from his/her
registered mobile number) between 9:30 am to 6:30 pm, 7 days a week & 365 days a year by saving
the above Official WhatsApp Chat number on his/her smartphone. In addition to WhatsApp Chat, the
Chat
customer can also Chat with the customer service executive by simply using the Chat option given in
the Kissht App.
During non-working hours, the customer can use the automated Chatbot service available on the same
number for getting his/her basic queries resolved and for raising a grievance too.
care@kissht.com
Email The customer can get in touch with the customer service executive over Email by sending his
query/grievance (preferably from his/her registered email id) to the above mentioned email id of the
company.
Important Notes:
The Grievance Redressal Officer (GRO) may be reached on the number provided above anytime between
10:00 and 18:00 from Monday to Saturday except public holidays or through the e-mail address above. The
GRO shall endeavor to resolve the grievance within a period of 14 days from the date of receipt of a
grievance.
If the Borrower does not receive a response from the GRO within 14 (fourteen) days of making a
representation, or if the Borrower is not satisfied with the response received from the GRO, the Borrower
may reach the Nodal Officer anytime between 10:00 to 18:00 from Monday to Saturday except public
holidays or write to the Nodal Officer at the e-mail address above.
SI Creva Capital Services Private Limited (SCCSPL) is an RBI registered NBFC follows all extant rules related
to collections practices as laid down under regulations. SCCSPL follows a customer first approach where the
emphasis of collections is to work with the borrower so as to ensure the best outcome for them, while
educating them on their rights and consequences under different scenarios.
The course of action adopted by SCCSPL post default by the borrower in repaying the scheduled
repayment(s) is as follows:
In the event of any delay or default in payment of any amount due and payable by the borrower in relation
to the loan, the immediate action taken is to initiate messaging through SMS, inapp-chat, Verified
WhatsApp Business Account, IVR, notifications, email and tele-calling by our inhouse collection team. The
messaging is context-based and focuses on customer education and warning around credit bureau
impacting future loans and legal impact.
The next action taken is to send written communication by letters and/ or by electronic communication LDN
(Loan Demand Notice) and LRN (Loan Recovery Notice) through multiple channels including email, SMS,
Verified WhatsApp Business Account and registered post in vernacular languages.
Finally, SCCSPL delegates the recovery to its network of field agents who will first visit the borrower at the
place of their choice, and in the absence of any specified choice of place, at the place of their residence and
if unavailable at residence, at the place of business/occupation/ identified place of work. Such personal
visits shall ideally be from 8.00 am to 7.00 pm. It is ensured that the external collection partners are
compliant with RBI guidelines and recommendations and follow best industry practice. In case of personal
visits, identity and authority of persons making such visits for follow up and recovery would be made
known to the obligors at the first instance. All collection agents will be required to follow a code of conduct
covering their dealings with the borrowers. All the practices adopted for follow up and recovery of dues and
enforcement of security will be in consonance with applicable laws. In addition to the foregoing, recovery
proceedings may be initiated in accordance with applicable laws.