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Company Secretarial and Corporate Trustee Services

Established as a division of CMS Daly Inamdar, DF Secretarial Services provide a full range of company secretarial services to ensure that your company is fully compliant with an ever increasing corporate statutory and regulatory compliance regime. The proper maintenance and filing of company records are key in ensuring such compliance.

Whilst our formal responsibility as a Company Secretary under the Companies Act (Cap 486) (the “Act”) is to maintain and keep a company’s statutory records up to date, DF Secretarial Services also provides its clients with wide-ranging secretarial services over and above the minimum requirements under the Act, tailor made to meet each company’s particular needs.

We also provide the following company secretarial services, including but not limited to: Kenyan company formation, corporate health checks, management of meetings (board and shareholder meetings), provision of a registered office facility, provision of requisite Kenyan resident service of process agent and advising on and attending to the registration of foreign corporations.

In accordance with the requirements of the Act we make available for appointment as technical Company Secretary one of our licensed and practicing Certified Public Secretaries of Kenya.

Further, as a division of CMS Daly Inamdar, DF Secretarial Services have recourse to experienced legal practitioners and are therefore able to compliment the company secretarial services provided with expert legal advice and practical assistance to companies and their boards of directors on company law issues, corporate practice and other compliance matters.

If you would like a quote for particular secretarial services, please do get in touch and we would be pleased to meet with you to discuss your business operations and company secretarial requirements.


Be­ne­fi­cial Own­er­ship In­form­a­tion Reg­u­la­tions, 2020
The re­cently in­tro­duced Sec­tion 93A of the Com­pan­ies Act re­quires each com­pany to have and main­tain a re­gister of its “be­ne­fi­cial own­er(s)”. The Gov­ern­ment has now pub­lished Reg­u­la­tions which ad­dress...