Register for free to join our community of investors and share your ideas. You will also get access to streaming quotes, interactive charts, trades, portfolio, live options flow and more tools.
Register for free to join our community of investors and share your ideas. You will also get access to streaming quotes, interactive charts, trades, portfolio, live options flow and more tools.
agreed ! $TBEV updated - getting ready!!!
TBEV Update on OTC
that means nothing
got it, seems completely unfair nonsense for them to suspend !
EXACTLY !!! $ADHC
on stocktwits, someone just posted some trash that a stock group has stated..... its ridiculous nonsense that is blatant lies....
looks to me this is an intentional attempt to get shares to tank hard...
Remo responded quickly to those false 8k's, not sure how much more he can do other then let things play out and see if anything turns into a complaint....
there is no evidence of anything out there that is being stated....
I cant find anything in any site, pacer system, etc
its complete lies with no backup of links or anything...
they are talking about huge dilution and toxic debt and years behind on creditors.....
i dont know if they think the general public are that stupid.... but we have been here long enough to see how legit this things trades....
none of that is here....
330 million float has always been in tact...
$ADHC
did trading actually every get halted here ? or is this simply on the greys ? or am I missing something ? im new, and just heard of this one....trying to figure out whats going on....
$$$ALERT$$$$ In the last 3 years, $ADHC has had different RM candidates, and as there was some promise with some of them, the stock ran to a penny with almost every candidate.... some shareholders here may have gotten upset that the RM candidates didnt work out for the better and sold their shares which caused the downturns...
when the candidates did not pan out, the stock came back of course...
so $ADHC has had its volatile moments, no doubt....
in this current scenario of today,
an old RM candidate did not live up to their agreement and lost their opportunity.... they are simply trying to hold on but its too late as we can see by the 8k that they filed fraudulently...
Here is KEY Information that the old RM candidate cannot seem to comprehend, its totally obvious that they failed badly as a candidate:
The failed RM candidate that is filing the fake news 8k has several nonsense statements that show you exactly that they do not have grounds or control:
Yup! 6 to 7 months to get themselves current and re-invented into new highs!
nonsense, I saw the news, there was more going on with those tickers then just social media influence, it was outright manipulation
Agreed ! Also these subbys that are stop sign will need to get current and re-invent themselves ,
We may see many subbys running in the coming months due to the new compliance rule with sept 2021 deadline
How will the requirements for companies currently quoted on the OTCQX, OTCQB and Pink markets change as a result of the Amended Rule?
The Rule recognizes current disclosure provided by companies on the OTCQX, OTCQB and Pink Current markets, whether under an SEC Reporting standard, Alternative Reporting Standard, Regulation A, Regulation Crowdfunding or pursuant to Rule 12g3-2(b). While the disclosure rules for companies on these markets are not expected to change materially, the new rule introduces certain restrictions on public quoting, including those for shells and other non-operational companies that may apply to certain companies currently quoted on the OTCQB or Pink markets.
Companies that are designated as “Pink No Information” or otherwise fail to provide current information as required by the Rule will no longer be eligible for public quoting, subject to certain limited exceptions (for example, certain quotations submitted on an “unsolicited” basis). If these companies do not take proactive steps to make disclosure available before the September 2021 compliance date, they will move to the Expert or Grey market.
When does the new rule go into effect?
OTC Link LLC, our broker-dealer subscribers, and companies quoted on our markets, must comply with the new, amended rule before the September 26, 2021 compliance date. We continue to actively engage with the Commission and our market participants to ensure a smooth transition to the amended Rule, including seeking exemptive relief for certain categories of issuers on our markets.
The new rule is gonna help a lot of these subbys : How will the requirements for companies currently quoted on the OTCQX, OTCQB and Pink markets change as a result of the Amended Rule?
The Rule recognizes current disclosure provided by companies on the OTCQX, OTCQB and Pink Current markets, whether under an SEC Reporting standard, Alternative Reporting Standard, Regulation A, Regulation Crowdfunding or pursuant to Rule 12g3-2(b). While the disclosure rules for companies on these markets are not expected to change materially, the new rule introduces certain restrictions on public quoting, including those for shells and other non-operational companies that may apply to certain companies currently quoted on the OTCQB or Pink markets.
Companies that are designated as “Pink No Information” or otherwise fail to provide current information as required by the Rule will no longer be eligible for public quoting, subject to certain limited exceptions (for example, certain quotations submitted on an “unsolicited” basis). If these companies do not take proactive steps to make disclosure available before the September 2021 compliance date, they will move to the Expert or Grey market.
When does the new rule go into effect?
OTC Link LLC, our broker-dealer subscribers, and companies quoted on our markets, must comply with the new, amended rule before the September 26, 2021 compliance date. We continue to actively engage with the Commission and our market participants to ensure a smooth transition to the amended Rule, including seeking exemptive relief for certain categories of issuers on our markets.
How will the requirements for companies currently quoted on the OTCQX, OTCQB and Pink markets change as a result of the Amended Rule?
The Rule recognizes current disclosure provided by companies on the OTCQX, OTCQB and Pink Current markets, whether under an SEC Reporting standard, Alternative Reporting Standard, Regulation A, Regulation Crowdfunding or pursuant to Rule 12g3-2(b). While the disclosure rules for companies on these markets are not expected to change materially, the new rule introduces certain restrictions on public quoting, including those for shells and other non-operational companies that may apply to certain companies currently quoted on the OTCQB or Pink markets.
Companies that are designated as “Pink No Information” or otherwise fail to provide current information as required by the Rule will no longer be eligible for public quoting, subject to certain limited exceptions (for example, certain quotations submitted on an “unsolicited” basis). If these companies do not take proactive steps to make disclosure available before the September 2021 compliance date, they will move to the Expert or Grey market.
When does the new rule go into effect?
OTC Link LLC, our broker-dealer subscribers, and companies quoted on our markets, must comply with the new, amended rule before the September 26, 2021 compliance date. We continue to actively engage with the Commission and our market participants to ensure a smooth transition to the amended Rule, including seeking exemptive relief for certain categories of issuers on our markets.
How will the requirements for companies currently quoted on the OTCQX, OTCQB and Pink markets change as a result of the Amended Rule?
The Rule recognizes current disclosure provided by companies on the OTCQX, OTCQB and Pink Current markets, whether under an SEC Reporting standard, Alternative Reporting Standard, Regulation A, Regulation Crowdfunding or pursuant to Rule 12g3-2(b). While the disclosure rules for companies on these markets are not expected to change materially, the new rule introduces certain restrictions on public quoting, including those for shells and other non-operational companies that may apply to certain companies currently quoted on the OTCQB or Pink markets.
Companies that are designated as “Pink No Information” or otherwise fail to provide current information as required by the Rule will no longer be eligible for public quoting, subject to certain limited exceptions (for example, certain quotations submitted on an “unsolicited” basis). If these companies do not take proactive steps to make disclosure available before the September 2021 compliance date, they will move to the Expert or Grey market.
When does the new rule go into effect?
OTC Link LLC, our broker-dealer subscribers, and companies quoted on our markets, must comply with the new, amended rule before the September 26, 2021 compliance date. We continue to actively engage with the Commission and our market participants to ensure a smooth transition to the amended Rule, including seeking exemptive relief for certain categories of issuers on our markets.
How will the requirements for companies currently quoted on the OTCQX, OTCQB and Pink markets change as a result of the Amended Rule?
The Rule recognizes current disclosure provided by companies on the OTCQX, OTCQB and Pink Current markets, whether under an SEC Reporting standard, Alternative Reporting Standard, Regulation A, Regulation Crowdfunding or pursuant to Rule 12g3-2(b). While the disclosure rules for companies on these markets are not expected to change materially, the new rule introduces certain restrictions on public quoting, including those for shells and other non-operational companies that may apply to certain companies currently quoted on the OTCQB or Pink markets.
Companies that are designated as “Pink No Information” or otherwise fail to provide current information as required by the Rule will no longer be eligible for public quoting, subject to certain limited exceptions (for example, certain quotations submitted on an “unsolicited” basis). If these companies do not take proactive steps to make disclosure available before the September 2021 compliance date, they will move to the Expert or Grey market.
When does the new rule go into effect?
OTC Link LLC, our broker-dealer subscribers, and companies quoted on our markets, must comply with the new, amended rule before the September 26, 2021 compliance date. We continue to actively engage with the Commission and our market participants to ensure a smooth transition to the amended Rule, including seeking exemptive relief for certain categories of issuers on our markets.
The potential here with getting updated prior to the new compliance rule in Sept 2021
New SEC rule and OTC guidelines has low impact on pinky’s :
How will the requirements for companies currently quoted on the OTCQX, OTCQB and Pink markets change as a result of the Amended Rule?
The Rule recognizes current disclosure provided by companies on the OTCQX, OTCQB and Pink Current markets, whether under an SEC Reporting standard, Alternative Reporting Standard, Regulation A, Regulation Crowdfunding or pursuant to Rule 12g3-2(b). While the disclosure rules for companies on these markets are not expected to change materially, the new rule introduces certain restrictions on public quoting, including those for shells and other non-operational companies that may apply to certain companies currently quoted on the OTCQB or Pink markets.
Companies that are designated as “Pink No Information” or otherwise fail to provide current information as required by the Rule will no longer be eligible for public quoting, subject to certain limited exceptions (for example, certain quotations submitted on an “unsolicited” basis). If these companies do not take proactive steps to make disclosure available before the September 2021 compliance date, they will move to the Expert or Grey market.
When does the new rule go into effect?
OTC Link LLC, our broker-dealer subscribers, and companies quoted on our markets, must comply with the new, amended rule before the September 26, 2021 compliance date. We continue to actively engage with the Commission and our market participants to ensure a smooth transition to the amended Rule, including seeking exemptive relief for certain categories of issuers on our markets.
float is only 300 million and there is no dilution, additionally they are working on removing an additional 300 million shares from the O/S ....
rumor is they are going back live and in full force... that has brought this out of the trips recently, this has many eyes and can run to multi-pennys if they get back in the game imho $SEEK
ALPS, anyone have a gun ?
hahaha!
BIG HITS!!! Thinning out on Level 2 - PENNEY AWAITS $DEWM
agreed! $SHMN $$$ STRONG BUY $$$
hopefully right, all my subbys are up nicely today and this is snoozing....
this one has a nice float but needs buying action !
thinning about beautifully, the old gang from years ago are all over this....this can fly to multipennys ! $TBEV
agreed, pick em up cheap here!
nice bid versus ask at this level
$TBEV can bring the goods, hold the line, this is an oldy but goody !
ready to run ! $EMBR
Nice day here today! $PWLK
agreed, if they get past that 10k ask, this seems like it could go pretty quick
this thing looks to be held back , float is not bad, but if they have a hole in the boat that wont matter....
Not bad today, volume picking up !
YUP! Looks good! Volume coming in !
Made a killing here then, im not new, been trading subbys for almost 3 decades
Agreed!!! Nice action, can move to a penny quick!
DIMES | QUARTERS | PAPER COMING ! $ADHC
Level 2, .0066 to .0070 is thinning out, 70 break possibly gets this back to pennyland and then we regain from there... this is easily worth .05+ pre-merger with this S/S .... after merger DIMES | QUARTERS | PAPER
Authorized Shares
3,000,000,000
09/30/2018
Outstanding Shares
846,566,885
11/17/2020
Restricted
Not Available
Unrestricted
Not Available
Held at DTC
Not Available
Float
Not Available
Companys always have something to offer.... the volume is speaking, they are listening imho....