Thailand, unless specifically exempted under the terms of an applicable double tax treaty, in case that the Offeree is a foreign juristic person not operating any business in Thailand and not residing in a
Biodiversity Convention, is a multilateral treaty. The convention has three main goals: the conservation of biological diversity; the sustainable use of its components; and the fair and equitable sharing of
, dishonesty, irresponsibility, carelessness to the client’s benefit, recklessness or unfair or unreliable business conducts, except where the applicant has received the permission from the Office due to the
Thailand, unless specifically exempted under the terms of an applicable double tax treaty, in case that the Offeree is a foreign juristic person not operating any business in Thailand and not residing in a
irresponsibility, carelessness in protecting clients’ benefits or lack of cautiousness or unfair or unreliable business conducts; (4) Be able to show that its systems for operating fund supervisor business, at least
irresponsibility, carelessness in protecting clients’ benefits or lack of cautiousness or unfair or unreliable business conducts; (4) Be able to show that its systems for operating fund supervisor business, at least
withholding of tax on any payment made on the debt securities, and provide relevant details about any reciprocal tax treaty between the Home and Host Countries. 3 VI. SELECTED FINANCAL INFORMATION A. Selected
European economic and monetary union pursuant to the Treaty establishing the European Community, as amended. SUITABILITY OF INVESTMENT Each potential investor in the Notes must determine the suitability of
made on the debt securities, and provide relevant details about any reciprocal tax treaty between the Home and Host Countries. 9 VII. SELECTED FINANCAL INFORMATION A. Selected Financial Data 1. The
provisions, including whether the issuer will be responsible for the withholding of tax on any payment made on the debt securities, and provide relevant details about any reciprocal tax treaty between the Home