Home India Pension Fund Regulatory and Development Authority Sharing of Subscriber Information under Multiple Scheme Fram...
Date: 2026-01-12 Category: Public Private Partnership in India State: Union Government Country: India

Sharing of Subscriber Information under Multiple Scheme Framework (MSF) with Pension Funds

Issued by Pension Fund Regulatory and Development Authority · Not Applicable

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Executive Summary & Key Takeaways

**Executive Summary** This circular, dated January 12, 2026, from the Pension Fund Regulatory and Development Authority (PFRDA), addresses the sharing of subscriber information under the Multiple Scheme Framework (MSF) with Pension Funds (PFs). It details the conditions and regulations for Central Record Keeping Agencies (CRAs) to share subscriber information with PFs, emphasising data privacy and security. CRAs and PFs are expected to align their systems, processes, and data management protocols and confirm compliance with the Authority within prescribed timelines. **Key Points / Main Content** * **Purpose of MSF**: * Enables PFs to design, own, and distribute schemes under their brand, facilitating NPS growth in the Non-Government Sector. * PFs are permitted to design, operate, and manage multiple schemes under the National Pension System (NPS). * **Information Sharing**: * CRAs will share subscriber information with PFs using a prescribed common template, with mutually agreed periodicity. * PFs will receive subscriber information only for subscribers enrolled under schemes implemented by that particular PF under MSF. * No information will be shared for subscribers enrolled only under common schemes or not enrolled under the scheme implemented by the PF under MSF. * All fields are to be made available to the PFs in respect of subscribers that have joined under its MSF irrespective of whether such subscriber has a common account or not. * **Data Usage, Privacy and Security**: * Data usage is restricted to scheme design, distribution, subscriber outreach, value-building, and servicing under the MSF framework. * Compliance with the Digital Personal Data Protection Act, 2023 (DPDP Act), Information Technology Act, 2000, and other relevant laws is mandatory. * Appropriate technical and organizational safeguards must be implemented to maintain confidentiality, integrity, and security. * Unauthorized data use, disclosure, or processing is strictly prohibited. * **Regulatory Guard Rails**: * Data sharing is governed by PFRDA (Central Record Keeping Agency) Regulations, 2015. * CRAs must establish systems to facilitate record keeping, administration, and customer service. * CRAs must maintain absolute confidentiality and not share data without prior permission from the Authority. * Data sharing is governed by PFRDA (Pension Fund) Regulations, 2015. * PFs must maintain confidentiality and not share data without prior permission from the Authority. * PFs shall comply with all applicable privacy or data protection laws and cooperate in the resolution of any complaint under or relating to such laws or guidelines." * **Compliance and Oversight**: * CRAs and PFs must maintain audit trails of data shared. * The Authority or NPS Trust will inspect or audit compliance. * CRAs and PFs must align systems and processes and confirm compliance within prescribed timelines. **Impact Analysis** **Central Record Keeping Agencies (CRAs)** * **Impact**: Must share subscriber data with Pension Funds as per the guidelines provided in the circular, using a prescribed common template. * **Action Required**: Establish the necessary systems and procedures to facilitate data sharing, adhere to data privacy and security provisions, maintain audit trails, and align processes with the circular’s requirements. Confirm compliance to the Authority within prescribed timelines. **Pension Funds (PFs)** * **Impact**: Will receive subscriber information to enable targeted communication, relationship management, and subscriber servicing under the MSF. * **Action Required**: Establish systems to securely manage and utilize subscriber data, adhere to data privacy regulations, maintain audit trails, and align processes with the circular’s requirements. Confirm compliance to the Authority within prescribed timelines. **Subscribers** * **Impact**: Their demographic information will be shared with Pension Funds for targeted communication and improved services. * **Action Required**: No immediate action required. Their data will be protected by privacy regulations.

Key Entities Referenced

Pension Fund Regulatory and Development Authority (PFRDA): The regulatory body that issued the circular concerning the sharing of subscriber information. PFRDA Act, 2013: The act under which the Multiple Scheme Framework (MSF) for Non-Government Sector Subscribers under NPS was issued. National Pension System (NPS): The pension system under which multiple schemes can be managed as described in the document. Central Recordkeeping Agencies (CRAs): Entities responsible for sharing subscriber information with Pension Funds (PFs) as prescribed by the circular. Multiple Scheme Framework (MSF): The framework introduced for Non-Government Sector Subscribers under NPS which enables Pension Funds (PFs) to design, own and distribute their respective schemes
Official Source Record View Original Source →
See Full Document Text
CIRCULAR PFRDA/2026/04/REG-PF/02 Date: 12th Jan 2026 To CRAs and Pension Funds All Stake Holders Subject: Sharing of Subscriber Information under Multiple Scheme Framework (MSF) with Pension Funds Vide Circular No. PFRDA/2025/09/Reg-PF/01 dated 16th September 2025 on the Introduction of Multiple Scheme Framework (MSF) for Non-Government Sector Subscribers under NPS – issued under Section 20(2) of the PFRDA Act, 2013, the Pension Funds (PFs) were permitted to design, operate, and manage multiple schemes under the National Pension System (NPS). 2. The fundamental premise of the MSF framework is to enable PFs to design, own, and distribute their respective schemes under their brand identity, thereby facilitating the growth of NPS within the Non-Government Sector through improved outreach, innovation, and subscriber engagement. 3. As per the provisions of the said circular, PFs shall be provided with demographic information of subscribers who have invested in their schemes for the purposes of targeted communication, relationship management, and subscriber servicing. 4. In continuation thereof, it has now been decided by the Authority that the requisite subscriber information (as per the attached template) shall be shared by the Central Record keeping Agencies (CRAs) with the concerned PFs as per their requirement, using a prescribed common template and at such periodicity as may be mutually agreed between the CRAs and PFs. Under this Data sharing Framework, PF would only get subscriber information on the subscriber enrolled under scheme implemented by a particular PF under MSF. CRA shall not provide the subscriber information if the subscriber is not enrolled under the scheme implemented by PF under MSF. Similarly, no subscriber information on subscriber enrolled only under common schemes shall be shared. All fields are to be made available to the PFs in respect of subscribers that have joined under its MSF irrespective of whether such subscriber has a common account or not.5. Data Usage, Privacy and Security Provisions While sharing and handling subscriber information, the following principles shall be strictly adhered to by the CRAs and PFs: a. All subscriber data shared under this structure shall be used solely for the intended purposes of scheme design, distribution, subscriber outreach, value-building, and servicing under the MSF framework. b. The data shall be handled strictly in compliance with the Digital Personal Data Protection Act, 2023 (DPDP Act), the Information Technology Act, 2000, and other applicable Indian laws, rules, and regulations governing data privacy and protection. c. PFs and CRAs shall ensure that the appropriate technical and organizational safeguards are implemented to maintain the confidentiality, integrity, and security of subscriber information. d. Any unauthorized use, disclosure, or processing of subscriber data beyond the stated purpose is strictly prohibited which shall attract appropriate regulatory and legal action. 6. Regulatory Guard rails This data sharing framework is implemented under the enabling provisions with adequate safeguards of the following regulations of the respective intermediary: A. PFRDA (Central Record keeping Agency) Regulations, 2015 Regulation 19 – Service to stakeholders or intermediaries: “CRA shall establish necessary systems and procedures to facilitate record keeping, administration, and customer service functions, including statements, MIS, and reports across various stakeholders or intermediaries of the NPS architecture — viz. subscribers, Trustee Bank, nodal offices, and Pension Funds — in accordance with the provisions of the Act, rules, regulations, or directions issued by the Authority.” Regulation 43 – Confidentiality: “CRA shall maintain absolute confidentiality with respect to all records, data, and information received or acquired during the course of its working, and shall not, without the prior permission of the Authority, produce or share such data or information as evidence or for any other purpose, except as required by due process of law.” B. PFRDA (Pension Fund) Regulations, 2015 Regulation 9A(1)(g) – Terms and Conditions of Registration: “The PF shall maintain confidentiality with respect to all transactions, records, data, and information received while discharging its obligations and shall not, without the priorpermission of the Authority, produce or share such data or information as evidence or for any other purpose except as required under the process of law or as directed by the Authority or the NPS Trust.” Schedule XI (42) – Privacy: “The PF shall comply with all applicable privacy or data protection laws in force from time to time, including any privacy code or guidelines issued by the Government of India, and shall cooperate in the resolution of any complaint under or relating to such laws or guidelines.” 7. Compliance and Oversight Both CRAs and PFs shall maintain audit trails of all subscriber data shared under this arrangement and shall be subject to inspection or audit by the Authority or NPS Trust to ensure compliance with the above provisions. All CRAs and PFs are advised to align their systems, processes, and data management protocols accordingly and confirm compliance to the Authority within the prescribed timelines. Chief General ManagerInformation Sharing Template S. No. Field from the Form Purpose for Personal Connect & Targeted Communication Enables personalised communication and respectful addressing 1 Applicant Name / Address of the subscriber Supports age-based engagement (life stage, retirement horizon, 2 Date of Birth milestone messaging) Helps in inclusive, sensitive and appropriately framed 3 Gender communication Marital Status/ Nominee Useful for life-event based communication (marriage, family 4 (for succession planning) planning, nominations) Enables family-oriented messaging and nomination-related 5 Spouse Name (if married) engagement Occupation Details/ Allows tailoring of communication based on employment type 6 Employer information and career stage Helps align communication with affordability, contribution 7 Annual Income Range planning and tax messaging 8 Nationality Relevant for communication and cross-border tax awareness 9 Place / Country of Birth Supports contextual communication 10 Mobile Number Primary channel for timely, personalised alerts and engagement Enables detailed, educational and value-oriented digital 11 Email ID communication Allows region-specific communication, language preferences 12 Current City / State and local outreach Tier-II Account Activation Helps identify subscribers for cross-sell, upsell and deeper 13 (Yes/No) relationship building 14 Other relevant information For Product building, Value Based relationship 15 Associated POP Information on POP/POP SP/e NPS

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