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AI Agent Profile · LendingIQ · Agent #78 · CCA

Compliance Calendar Agent AI

Function: Compliance CoordinatorInvoked via: deadline approach · new circular · board reporting cycleRuntime: AWS Bedrock · ap-south-1Model: Claude Sonnet 4Context window: 200K tokens

DivisionCompliance

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What this agent does

The Compliance Calendar Agent AI tracks every regulatory obligation in LendingIQ's NBFC compliance universe — monthly RBI returns, SRO filings, board reporting requirements, internal audit milestones, and annual certifications — and ensures that every obligation owner receives advance notice, every board meeting has a compliance briefing, and the CCO has a live view of the compliance calendar at all times. It replaces the manual compliance coordinator function with a systematic deadline management layer that eliminates missed filings through advance alerting, not retrospective chasing.

Primary functions

Deadline Tracking

Daily scan · all active compliance obligations

Invoked when: daily scan runs — all compliance obligations are checked for status, days to deadline, and obligation owner confirmation

  • Maintains the master compliance obligation register — the complete list of every recurring and one-time compliance obligation, the applicable regulation or circular that creates the obligation, the due date or recurrence pattern, the obligation owner (the individual responsible for completing the filing or certification), and the current status (pending, in-progress, completed, overdue). The register covers the full NBFC compliance universe: RBI monthly returns (NDSI-MB, MIS-1, MIS-2, and others), SRO (Self-Regulatory Organisation) filings, board reporting obligations under the Companies Act and RBI Master Directions, annual statutory certifications (the CEo/CFO certification, the annual compliance certificate), and the internal audit cycle milestones that feed into regulatory compliance attestations.
  • Sends advance reminders to obligation owners at 7 days and 2 days before each deadline — ensuring that the owner has adequate preparation time and that the CCO receives a copy of each reminder. The 7-day reminder is the preparation trigger; the 2-day reminder is the completion urgency trigger. Where the obligation owner has not marked the obligation as in-progress by the 7-day reminder, the CCO receives an additional alert — an obligation that has not been started 7 days before the deadline is at risk of a late filing.
  • Updates the obligation status dashboard in real time as obligation owners mark their filings as completed — providing the CCO with a live view of which obligations are on track, which are at risk, and which are overdue. The dashboard is the single source of truth for the compliance position at any point in the month; the CCO does not need to chase individual obligation owners for status updates because the dashboard reflects their self-reported progress against the calendar.
Output: Daily compliance status dashboard — all obligations with status, days to deadline, obligation owner, and last update. 7-day and 2-day reminders to obligation owners and CCO. Overdue obligation alerts to CCO immediately when a deadline passes without completion confirmation.

Filing Reminders & New Obligation Extraction

Event-driven · new circulars and obligation updates

Invoked when: a new RBI circular or regulatory notification is received — obligation extraction is completed within 24 hours

  • Reads every new RBI circular and regulatory notification through the lens of compliance obligations — identifying any new, modified, or withdrawn obligations that the circular introduces. New obligations are extracted with their specific deadline, recurrence pattern (monthly, quarterly, annual, one-time), and the data or certification required. Modified obligations have the prior version of the obligation noted alongside the change — so that the obligation owner understands what has changed and can adapt their preparation process. Withdrawn obligations are removed from the active calendar so that obligation owners are not continuing to prepare filings that are no longer required.
  • Adds new and modified obligations to the compliance calendar immediately and assigns them to the relevant obligation owner based on the obligation category — RBI returns to the CFO, board reporting items to the Company Secretary, credit-related certifications to the CCO. Where a new obligation is in an area where no obligation owner has been previously assigned, the agent flags the unassigned obligation to the CCO for owner designation before the obligation is tracked in the calendar.
  • Flags new obligations where the first deadline is within 15 days of the circular date — these require an expedited preparation and filing process and immediate CCO attention. A circular received on the 15th of the month with a first due date on the 30th of the same month does not afford the standard preparation window; the urgency flag triggers a direct CCO escalation rather than the standard 7-day reminder cycle.
Output: New obligation extraction report — new, modified, and withdrawn obligations from each circular, with due dates, recurrence patterns, and assigned owners. Obligations added to the compliance calendar within 24 hours of circular receipt. Expedited-deadline flags for obligations due within 15 days.

Board Reporting Schedule

Per board meeting · auto-briefing dispatched 5 days before each meeting

Invoked when: the board meeting calendar shows a meeting in the next 5 days — compliance auto-briefing is assembled and dispatched

  • Assembles the compliance auto-briefing for each board meeting — a structured summary of: the compliance status for the current month (obligations completed on time, obligations pending, any overdue items and their status), any new regulatory obligations introduced since the last board meeting and their implementation status, any compliance incidents or near-misses from the prior month, and the compliance calendar for the next 30 days (upcoming deadlines by category and obligation owner). The briefing is formatted to the board's standard agenda format and is ready for the board pack without additional editing by the CCO.
  • Coordinates the compliance briefing with the board's existing agenda — where the board has a scheduled compliance agenda item, the auto-briefing provides the pre-read material; where compliance is not a standing agenda item, the auto-briefing is included as a standing annex to the board pack. The agent does not determine the board agenda — it prepares the compliance material that supports whatever agenda structure the board has adopted.
  • Tracks board compliance resolutions — where the board makes a compliance-related resolution (approving a policy update, directing a remediation action, noting a regulatory finding), the agent records the resolution in the compliance calendar and creates a follow-up obligation for the accountable officer to implement and report back. Board resolutions that result in compliance actions are tracked in the same calendar as regulatory obligations — preventing the common gap where a board direction is made but not tracked to implementation.
Output: Board compliance auto-briefing — monthly compliance status, new obligations, incidents, and 30-day forward calendar. Dispatched to board members and CCO 5 days before each meeting. Board resolution follow-up obligations created and tracked in the compliance calendar.

Knowledge base

Compliance Obligation Register

The master list of all compliance obligations — obligation description, regulatory source, due date or recurrence, obligation owner, and current status. The single source of truth for the compliance calendar.

RBI Circular Archive

All RBI circulars received — obligations extracted, due dates identified, and calendar updated. The regulatory source record that links every calendar entry to its regulatory basis.

NBFC Regulatory Return Schedule

The standard monthly, quarterly, and annual return schedule for NBFCs under RBI Master Directions — the baseline calendar from which obligation tracking begins and against which new circular obligations are added.

Board Meeting Calendar

The scheduled board meeting dates — the trigger for auto-briefing assembly and dispatch. Integrated with the board secretariat system so that schedule changes automatically update the briefing dispatch schedule.

Internal Audit Cycle Milestones

Internal audit plan milestones — report issuance dates, audit committee presentations, and management response deadlines — tracked alongside regulatory obligations in the unified compliance calendar.

Pre-Training — NBFC Compliance Knowledge

NBFC regulatory framework, RBI return schedule, and compliance calendar management best practices for Indian non-banking financial companies up to knowledge cutoff.

Hard guardrails

Will notFile any regulatory return or certification on behalf of LendingIQ. Filing is exclusively the responsibility of the accountable officer designated for each obligation. The agent tracks, reminds, and alerts — the act of filing requires a human action by the designated authority.
Will notMark an obligation as completed without a confirmation action from the obligation owner. The agent cannot independently verify that a filing was submitted — it relies on the obligation owner's self-certification. An obligation is only marked complete when the owner records the completion in the system with the submission confirmation.
Will notRequest a deadline extension from the regulator autonomously. A deadline extension request is a regulatory communication that requires CCO approval and formal submission; the agent flags the at-risk deadline to the CCO to decide whether to request an extension.
Will notAdd a new obligation to the calendar without a regulatory source reference. Every calendar entry must be linked to the specific regulation, circular, or board resolution that creates the obligation. Obligations without a source reference are not trackable or defensible in an inspection.

Known limitations

The agent's obligation extraction from new circulars is based on text analysis of the circular — it identifies obligations explicitly stated in the circular but may miss implications that require professional judgment to recognise. A circular that modifies a definitional standard may implicitly change the scope of an existing reporting obligation without explicitly creating a new one; this type of implicit obligation change requires CCO review rather than automated extraction.Maintain a CCO review step for all new circulars in addition to the agent's automated extraction — the CCO reviews the extraction output and identifies any implicit obligation changes that the automated analysis missed. The extraction saves the CCO time by doing the first-pass identification; the CCO review catches what the first pass misses.
The obligation status dashboard depends on obligation owners self-reporting their filing status — an owner who has submitted a filing but not updated the system will show as pending on the dashboard, while an owner who has updated the system without actually filing will show as complete. The agent cannot independently verify submission status against the regulator's portal.For critical monthly returns, implement a CCO email confirmation step — where the obligation owner confirms completion to the CCO by email within 24 hours of the deadline, providing the submission reference number. This creates a human-verified completion record that supplements the system status update.
Agent Profile · Compliance Calendar Agent AI · LendingIQ · Agent #78Last updated April 2026 · For internal use

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