SEC Office on DECEMBER 9, 2022 later than the period specified by the law. On March 11, 2025, the Criminal Fining Committee issued special order no. 1/2025 imposing a fine on FL 2024 CO., LTD. as the
, 2023 However, FL prepared and submitted the Complaint report of Q2/2023 to the SEC Office on JULY 18, 2023 later than the period specified by the law. On March 11, 2025, the Criminal Fining Committee
financial statement for first period of six months of the year 2023 to the SEC Office on October 6, 2023 later than the period specified by the law On March 11, 2025, the Criminal Fining Committee issued
compliance unit (Head of Compliance) to the SEC through a system prepared on the website of the SEC Office within May 12, 2023. However, FL reported the discontinuation of such a person on May 16, 2023. On
compliance unit (Head of Compliance) to the SEC through a system prepared on the website of the SEC Office within May 13, 2023. However, FL reported the appointment of such a person on March 7, 2023. On
of the Board of Directors’ Meeting No. 6/2566, held on 11 September 2023, which concealed such material facts that should have been disclosed to the SEC Office. This case is in the process of inquiry
financial covenants for the year 2024 and (5) the annual report for the year 2024 (Form 56-2) to the SEC Office within the period specified in the notification of the Capital Market Board, due to his failure
financial statements for Q1/2018 to the SEC Office and the Stock Exchange of Thailand within the period specified in the notification. The public prosecutor issued a prosecution order against the accused
shares reached or passed five percent of the total number of voting rights of ADAM. Ms. Bongkorn, however, failed to report (Form 246-2) and make a tender offer to the SEC Office within the period
holding of ADAM shares reached or passed five percent of the total number of voting rights of ADAM. Mr. Sorawit, however, failed to report (Form 246-2) and make a tender offer to the SEC Office within the