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MCQs - 2026-03

151.
The revised risk-weighting framework applies to:
A All asset classes equally.
B Certain asset classes.
C Only equity investments.
D Only government securities.
152.
The enhanced norms are expected to ensure that NBFCs are capable of:
A Increasing their leverage without limits.
B Withstanding economic shocks.
C Operating with minimal regulation.
D Ignoring customer complaints.
153.
The RBI will conduct regular assessments to monitor:
A The profitability of NBFCs.
B Compliance and the effectiveness of the new norms.
C The number of new NBFCs being established.
D The stock prices of NBFCs.
154.
The objective of these norms is to mitigate:
A Market competition.
B Systemic risks.
C Technological advancements.
D Customer service efficiency.
155.
Why is this move particularly significant given the current financial landscape?
A Because NBFCs are playing a diminishing role.
B Due to the growing role of NBFCs and their interconnectedness with banks.
C Because NBFCs are solely focused on retail lending.
D As NBFCs are completely independent of the banking system.
156.
The RBI has also introduced new guidelines for NBFCs concerning:
A Their investment in foreign markets.
B Their governance structures and risk management practices.
C Their employee recruitment policies.
D Their IT infrastructure upgrades.
157.
The new norms introduce stricter requirements for:
A Marketing and advertising.
B Capital adequacy.
C Employee benefits.
D Office space allocation.
158.
Which of the following is a key change introduced by the new norms?
A Relaxation of capital adequacy requirements.
B A revised risk-weighting framework for certain asset classes.
C Reduced disclosure norms.
D Less stringent governance requirements.
159.
When will the enhanced prudential norms for NBFCs become effective?
A April 1, 2026
B October 1, 2026
C January 1, 2027
D July 1, 2026
160.
What is the primary objective of the RBI's enhanced prudential norms for NBFCs?
A To reduce the number of NBFCs.
B To strengthen the regulatory framework and ensure the resilience of NBFCs.
C To encourage risky lending practices.
D To decrease the role of NBFCs in credit intermediation.