SEC office within January 7, 2021 and February 27, 2023, depending on circumstances. However, Mr. Winai Teawsomboonkij prepared and disclosed the report (Form 59) to the SEC office on September 9, 2025
. In this regard, Mr. Somsak has the duty to prepare and disclose a report regarding his holding securities and the changes to such holdings (Form 59) to the SEC office within March 30, 2021. However, Mr
securities holding. In this regard, Mr. Suksan has the duty to prepare and disclose a report regarding his holding securities and the changes to such holdings (Form 59) to the SEC office within January 21,2021
SEC office within 4 months since the end of the accounting period, as well as publishing such financial statement on the company’s website within such period. In this regard, Coindee submitted such
. In this regard, Mr. Wang has the duty to prepare and disclose a report regarding his holding securities and the changes to such holdings (Form 59) to the SEC office within August 27, 2021, and
purchased SO shares on May 17, 2022. In this regard, Miss Kanthima has the duty to prepare and disclose a report regarding her holding securities and the chances to such holding [From 59] within November 22
shares on June 7, 2022. In this regard, Miss Hathaichanok has the duty to prepare and disclose a report regarding her holding securities and the chances to such holding [From 59] within June 10, 2022
the changes in his securities holdings (Form 59) to the SEC within the period specified in the notification of the SEC, which was 3 July 2025. However, Mr. Vorathep failed to prepare and disclose the
management discussion and analysis (“MD&A”) for Q3/2020 to the SEC office within the period specified in the notification which is within on November 16, 2020. but GL submitted that financial statement to
, and the six-month periods ended 30 June 2021 within 31 May 2021, 31 May 2021, and 30 September 2021, respectively. However, JCKD prepared and submitted the financial statement for the year 2020, the key