give instructions which is a duty required to be performed. Later, TTCL submitted the rectified financial statement for Q3 year 2020 on 28 February 2022. SEC Act S.300 in conjunction with 56(1
give instructions which is a duty required to be performed. Later, TTCL submitted the rectified financial statement for the year 2020 on 28 February 2022. SEC Act S.300 in conjunction with 56(2
instructions which is a duty required to be performed. Later, APURE submitted the rectified financial statement year 2022 on August 15, 2023. SEC Act S.300 in conjunction with 56(3)(4) Settlement Committee
by the Capital Market Supervisory Board which is within April 1, 2024. However, NOK submitted the financial statement for the year 2023 to the SET on May 29, 2024 later than the specified period
specified by the Capital Market Supervisory Board which is within April 1, 2024. However, NOK submitted form 56-1 One Report for the year 2023 to the SET on July 31, 2024 later than the specified period
period specified by the Capital Market Supervisory Board which is within April 1, 2024. However, NOK submitted the Management Discussion and Analysis for the year 2023 to the SET on July 31, 2024 later
office on February 19, 2025 which means Mr. Anya failed to prepare and disclose the report within the period specified in the notification of the SEC. SEC Act S.59 Settlement Committee Meeting No. 5
within the period specified by the Capital Market Supervisory Board which is within February 29, 2024. However, ITD submitted the financial statement for the year 2023 to the SET on March 28, 2024 later
within the period specified by the Capital Market Supervisory Board which is within April 1, 2024. However, ITD submitted form 56-1 One Report for the year 2023 to the SET on April 10, 2024, later than the
the year 2023 within the period specified by the Capital Market Supervisory Board which is within February 29, 2024. However, ITD submitted the Management Discussion and Analysis for the year 2023 to