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we are committed to protecting the security of your personal information. We have implemented appropriate technology and policies to safeguard your personal information from unauthorised access and improper use. However, the nature of the Internet is such that we cannot guarantee or warrant the security of any information you transmit to us via the Internet.

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If at any time you would like to contact us with your views about our privacy practices, or with any enquiry relating to your personal information, or if you do not wish us to continue using your information as outlined above, you can do so by sending an email to us at or Address-. 205-206 IInd floor, P.P Towers Netaji Subhash Place Pitampura Delhi-110034

Anti-Trust Policy Statement
The MSAI Anti-trust Legislation Compliance Policy Statement
It is the MSAI Policy that all of its business dealings are carried out in full compliance with applicable anti-trust legislation. The MSAI is fully committed to ensuring that MSAI employees and consultants, and Members and Associate Members of the Association adhere to this Policy. In pursuit of this objective, the MSAI has adopted a Compliance Manual that sets out procedures on compliance matters. Procedures for monitoring compliance have also been introduced. The Compliance Manual is available on the Association’s Infocentre.

All MSAI employees, consultants and elected representatives/officials of the MSAI are under an obligation to conduct all business dealings in accordance with any applicable anti-trust legislation. Each MSAI employee, consultant (as appropriate) and elected official is required to read and familiarise him or herself thoroughly with the MSAI Compliance Policy and follow the guidelines contained in the MSAI Compliance Manual. The MSAI undertakes to provide both general and specific training in order to ensure that MSAI employees, consultants and others directly involved in the activities of the Association are fully informed as to the extent and the implications of the Compliance Policy and how it affects their business activities. Specialised training will be provided for the MSAI CEO, Executive Directors, directors and elected officials.

The MSAI undertakes to monitor compliance with its Compliance Policy and to take positive action if it appears that the policy is not fully effective. The responsibility for maintaining and monitoring the Association’s Compliance policy lies with the Association’s Legal team and ultimately with the Association’s Executive Management Committee & Interim CEO Board. The Compliance Policy will be reviewed regularly by Legal team to ensure that it is up-to-date with legislative changes and best practice policies. Where appropriate, external advisors may also be requested to perform audits of certain aspects of the compliance programme.

Disclaimer :
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Whilst every reasonable effort is made to keep the content of MSAI World Wide Web pages accurate to the best of its officers’ and contributors’ current knowledge, no warranty or representation of any kind, either express or implied, is made in relation to the accuracy, completeness or content of the information contained in these pages. MSAI and its officers, members and advisers accept no responsibility or liability for material contained in these pages or for material created or published by other industry bodies, our members or any other third parties to whose pages the MSAI World Wide Web pages have a link. MSAI World contains links to third-party Web sites. The linked sites are not under the control of the MSAI, and the MSAI is not responsible for the contents or the use of cookies on any linked site or any link contained in a linked site. The GSM Association is providing these links only as a convenience, and the inclusion of a link does not imply endorsement of the linked site by the MSAI.