relating companies with Beyond, the shareholders and executives of Beyond without due diligence and care in the same manner as a professional. Besides, Beyond gave the margin loan and performed in favor of
2018 in compliance with the rules specified in the notification of the Capital Market Supervisory Board as a result of his failure to order or act in accordance with duties required to be performed
required to be performed. SEC Act S.300 in conjunction with 56(4) Settlement Committee Meeting No. 2/2022 Settlement Committee Order No. 22/2022 Dated 28/02/2022
to be performed. SEC Act S.300 in conjunction with 56(3) Settlement Committee Meeting No. 2/2022 Settlement Committee Order No. 22/2022 Dated 28/02/2022
the notification of the Capital Market Supervisory Board resulted from the instruction or the failure to give instruction which is duly required to be performed. SEC Act S.300 in conjunction with 56
the notification of the Capital Market Supervisory Board resulted from the instruction or the failure to give instruction which is duly required to be performed. SEC Act S.300 in conjunction with 56
instruction or the failure to give instruction which is a duty required to be performed. SEC Act S.300 in conjunction with 56(4) Settlement Committee Meeting No. 2/2022 Settlement Committee Order No. 8/2022
resulted from the instructions or the failure to give instructions which is a duty required to be performed. Later, CEN submitted the rectified annual updated information statement for the year 2018 (Form 56
mitted the inaccurate annual report for the year 2018 (Form 56-2) resulted from the instructions or the failure to give instructions which is a duty required to be performed. Later, CEN submitted the
notification resulted from the instruction or the failure to give instruction which is a duty required to be performed. The Settlement Committee imposed a fine according to 34/2566 on 27 March 2023. SEC Act S