Hi Amar, can you not type in a simple language which can be understood by non lawyers as well. I am sorry for writing this. I cannot call you as I am at my work place.
On Fri, 17 May 2024, 17:35 Amar Jain, <amarj...@amarjain.com> wrote: > Call me up-9892622230. > Sent from my iPhone > > On 17 May 2024, at 4:56 PM, Cauvery Krishna <cauverykrishna...@gmail.com> > wrote: > > > I am sorry Amar but could you please answer my questions in a simple > language. > > On Fri, 17 May 2024, 16:49 Amar Jain, <amarj...@amarjain.com> wrote: > >> On this there could be different legal opinions. >> >> >> >> My opinion is as follows: >> >> >> 1. Unless CCPD issues recommendations under Section 75B to government >> authority, then only a government authority has a right to reject such >> recommendations within 90 days by giving reasons for rejection in writing. >> Accordingly, any directions issued under Section 75 read with Section 77 >> against every establishment which includes government and private are >> binding as directions. >> >> >> 2. CCPD does have power to impose fines under Section 89, summon >> officials, demand for production of records, and so on. But till date I am >> not aware of any instance where CCPD would have imposed a fine on anyone. >> >> >> 3. CCPD's power to report to parliament is quite broad, but I am not >> aware if they have utilised the power in any specific instance. >> >> >> 4. It is up to us to see how to have companies ensure compliance. And we >> will not drop the ball on this one as well. >> >> >> Regards, >> >> Amar Jain >> >> On 17/05/2024 16:16, Cauvery Krishna wrote: >> >> No, how efficient is the reporting to the parliament is? Does any of the >> CCPD body has authority to impose fines? My question comes from how easy is >> it for the companies to get away with it? >> >> On Fri, 17 May 2024, 16:11 Amar Jain, <amarj...@amarjain.com> wrote: >> >> Here, there is a state commissioner in every state, and there is the >> Chief Commissioner at the central level. >> >> >> >> Parliamentary reporting mechanism is not a right for us, it is a >> prerogative of the CCPD to be used where they feel that despite direction >> if there has been non-compliance in specific instances or even in general. >> >> >> Does this answer your question? >> >> >> Regards, >> >> Amar Jain >> >> On 17/05/2024 16:07, Cauvery Krishna wrote: >> >> Dear Amar, could you please explain this in simple words? , Ola Cabs has >> to submit a compliance report in 90 days from the issuance of this order, >> failing which the matter will be reported to the Parliament. I would like >> to know why would it be reported to the parliament? Can you explain the >> hierarchy of CCPD? For example in usual cases there is trial court then a >> high court then the Supreme court. >> >> On Fri, 17 May 2024, 14:49 Maruti Paramwad, <mparam...@gmail.com> wrote: >> >> Hello amar sir, >> >> Greetings! >> Great work amar sir! This is a very big achievement. >> Sent from my iPhone >> >> On 17 May 2024, at 1:37 PM, Amar Jain <amarj...@amarjain.com> wrote: >> >> Dear all, >> >> >> On May 10 2024, the Court of Chief Commissioner for Persons With >> Disabilities issued wide ranging directions to Ola Cabs to make their >> services disability inclusive. The top points from the order are as under: >> >> >> • Allow users to disclose their disability in profile and conduct >> targeted disability-specific sensitization for its driver partners >> • Appointment of an Accessibility Auditor and a Grievance Redressal >> Officer >> • Clear direction from the company's CEO to ensure accessibility of all >> existing and new features >> • Submission of an undertaking by the company to the CCPD for compliance >> with accessibility standards and mandating self-certification on an annual >> basis >> >> Ola Cabs has to submit a compliance report in 90 days from the issuance >> of this order, failing which the matter will be reported to the Parliament. >> >> >> Detailed order is attached for your reference. >> >> >> Regards, >> >> Amar Jain >> >> >> -- >> Disclaimer: >> 1. Contents of the mails, factual, or otherwise, reflect the thinking of >> the person sending the mail and AI in no way relates itself to its veracity; >> >> 2. AI cannot be held liable for any commission/omission based on the >> mails sent through this mailing list.. >> >> >> Search for old postings at: >> http://www.mail-archive.com/accessindia@accessindia.org.in/ >> --- >> You received this message because you are subscribed to the Google Groups >> "AccessIndia" group. >> To unsubscribe from this group and stop receiving emails from it, send an >> email to accessindia+unsubscr...@accessindia.org.in. >> To view this discussion on the web visit >> https://groups.google.com/a/accessindia.org.in/d/msgid/accessindia/1b1c03c8d54ca650dcad494b843e8290%40amarjain.com >> <https://groups.google.com/a/accessindia.org.in/d/msgid/accessindia/1b1c03c8d54ca650dcad494b843e8290%40amarjain.com?utm_medium=email&utm_source=footer> >> . >> <OLA Cabs-13532-Order.pdf> >> >> >> -- >> Disclaimer: >> 1. Contents of the mails, factual, or otherwise, reflect the thinking of >> the person sending the mail and AI in no way relates itself to its veracity; >> >> 2. 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Contents of the mails, factual, or otherwise, reflect the thinking of > the person sending the mail and AI in no way relates itself to its veracity; > > 2. AI cannot be held liable for any commission/omission based on the mails > sent through this mailing list.. > > > Search for old postings at: > http://www.mail-archive.com/accessindia@accessindia.org.in/ > --- > You received this message because you are subscribed to the Google Groups > "AccessIndia" group. > To unsubscribe from this group and stop receiving emails from it, send an > email to accessindia+unsubscr...@accessindia.org.in. > To view this discussion on the web visit > https://groups.google.com/a/accessindia.org.in/d/msgid/accessindia/EB2A623E-D791-4BBF-9803-3929887960D1%40amarjain.com > <https://groups.google.com/a/accessindia.org.in/d/msgid/accessindia/EB2A623E-D791-4BBF-9803-3929887960D1%40amarjain.com?utm_medium=email&utm_source=footer> > . > -- Disclaimer: 1. 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