Quess Corp Limited has announced its audited financial results for the year ended March 31, 2026, reporting a consolidated net profit of ₹2,222.01 million. To celebrate 10 years of being listed on the stock exchange, the company declared a special interim dividend of ₹3 per share, alongside a recommended final dividend of ₹3 per share. Additionally, the company announced the appointment of Mr. Anish Thurthi as an Additional Director.
Annual Financial Performance
For the financial year ended March 31, 2026, Quess Corp Limited reported consolidated revenue from operations of ₹1,53,051.87 million. The company achieved a consolidated net profit for the year of ₹2,222.01 million. During the Q4 (January-March 2026) period, the company recorded revenue of ₹38,924.53 million with a net profit of ₹643.49 million.
Dividend Declarations
In commemoration of the 10th anniversary of the company’s public listing, the Board has declared a special interim dividend of ₹3 per equity share (30% of face value). The record date for this special dividend is May 08, 2026, with payment scheduled on or before May 21, 2026. Furthermore, the Board has recommended a final dividend of ₹3 per equity share for the fiscal year 2025-26, subject to approval by shareholders at the upcoming 19th Annual General Meeting.
Board and Operational Updates
The company announced leadership changes, with Mr. Anish Thurthi appointed as an Additional Director (Non-Executive, Non-Independent) effective June 01, 2026. Conversely, Mr. Chandran Ratnaswami will step down as a Non-Executive Director effective May 31, 2026, citing retirement and a desire to make space for younger leadership.
Operationally, Quess Corp is transitioning its Registrar and Share Transfer Agent (RTA) services from MUFG Intime India Private Limited to KFin Technologies Limited to leverage more advanced infrastructure for shareholder services.
Auditor Observations
The independent auditors have issued a modified opinion regarding the consolidated financial results. This qualification pertains to ongoing tax disputes involving the disallowance of certain tax deductions under Section 80JJAA of the Income Tax Act. The company continues to maintain that these claims are valid and intends to pursue them through judicial forums.
Source: BSE