Bangkok, September 11, 2014 ?The SEC is seeking public comment on draft regulations on termination of listed company?s duty to disclose information under Section 56 and duty of directors and
companies will be required to disclose additional information such as portfolio turnover ratio (PTR), trading costs, and trigger fund. The consultation paper is available on www.sec.or.th. Stakeholders and
Mr. Porameth Rungrongtanin Mr. Porameth Rungrongtanin made a tender offer on behalf of Mr. Sathit Roongwatanapak but Mr. Porameth did not disclose in tender offer report (Form 247-4) on September
securities via his nominee's securities account but failed to prepare and disclose report on changing in his holding (Form 59-2) to the SEC Office within the period specified in the notification of the
account but failed to prepare and disclose report on change in her securities to the SEC Office within the period specified in the notification of the Capital Market Supervisory Board. Mr. Sasavat later
COL securities via his nominee's securities account but failed to prepare and disclose report on changing in his holding (Form 59-2) to the SEC Office within the period specified in the
Kanokpailin has the duty to prepare and disclose a report regarding her holding securities and the changes to such holdings (Form 59-2) within November 23, 2020. However, Miss Kanokpailin failed to prepared and
prepare and disclose a report regarding her holding securities and the changes to such holdings (Form 59) within June 1, 2020. However, Miss Suttirat failed to 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) within June 5, 2020. However, Mr. Cheng-Yung Lin failed to prepared and disclosed the report (Form
disclose a report regarding his holding securities and the changes to such holdings (Form 59) within July 14, 2020. However, Mr. Subhasiddhi failed to prepared and disclosed the report (Form 59) to the SEC