entering into this transaction. This transaction is considered a transaction with the transaction size of more than 3% of net tangible assets of the Company. Therefore, the Company has the duties to disclose
entering into this transaction. This transaction is considered a transaction with the transaction size of more than 3% of net tangible assets of the Company. Therefore, the Company has the duties to disclose
entering into this transaction. This transaction is considered a transaction with the transaction size of more than 3% of net tangible assets of the Company. Therefore, the Company has the duties to disclose
size of more than or equals to 15 percent but less than 50 percent which requires the Company to disclose the information memorandum to the Stock Exchange of Thailand and send the circular notice to
intermediary shall conspicuously announce the names of the persons under Clause 8(1), (2), (3) and (4) at its every office, and also disclose those names on its website. In case of changing the names of persons
sale. The SEC Office shall have the authority to: (1) order the Thai government agencies or their directors or executives to clarify or disclose additional information within a specified period and
might not have granted an approval for such offer for sale, the SEC Office shall have the authority to: (1) order the approved entity or its directors or executives to clarify or disclose additional
offer for sale, the SEC Office shall have the authority to: (1) order the approved foreign entity, its directors or executives to clarify or disclose additional information within a specified period and
Class 1 according to the Notification of Acquisition or Disposition of Assets. The Company is responsible to disclose the Information Memorandum of the Acquisition of Assets to the SET, and request for an
) (9) 45% India PET JV (September 12, 2016 onwards) 3 (0) 6 (49%) 5 7 (36%) Others (FiberVisions, PHP China, Mexico) 1 1 1 (35%) 4 3 53% 1 Previous disclose on Polyprima reflected 47.25% holding, IVL