regard, Mr. Prapakorn has the duty to prepare and disclose a report regarding his holding securities and the changes to such holdings (Form 59-2) within 28 January 2020. However, Mr Prapakorn prepared and
duty to prepare and disclose a report regarding her holding securities and the changes to such holdings (Form 59-2) within 12 February 2020. However, Miss Pikun prepared and disclosed the report (Form 59
to prepare and disclose a report regarding his holding securities and the changes to such holdings (Form 59-2) within March 12, 2020. However, Mr. Yongkiat prepared and disclosed the report (Form 59-2
, Mr. Thana has the duty to prepare and disclose a report regarding his holding securities and the changes to such holdings (Form 59-2) within 4 March 2020. However, Mr. Thana prepared and disclosed the
, Miss Niramarn has the duty to prepare and disclose a report regarding her holding securities and the changes to such holdings (Form 59-2) within 19 March 2020. However, Miss Niramarn prepared and
, Miss Ariya has the duty to prepare and disclose a report regarding their holding securities and the changes to such holdings (Form 59-2) within 26 March 2020. However, Miss Ariya prepared and disclosed
liable for SSNL’s failure to disclose the accurate tender offer report (Form 247-4) of SSNL’s holding of Sermsuk Public Company Limited (SSC) shares on October 28, 2010. The Form 247-4 did not disclose
Section 108 Securities and Exchange Act B.E. 2535 Section 108. A securities company shall publish particulars or disclose any other information concerning the securities company in accordance with
Section 108 Securities and Exchange Act B.E. 2535 Section 108. A securities company shall publish particulars or disclose any other information concerning the securities company in accordance with
Company Limited (SSC) shares. The Form 247-4 did not disclose that Mr. Charoen Sirivadhanabhakdi is the controlling person of SSNL who provides funding for SSNL’s tender offer of SSC shares. SEC Act S