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Re: Doc Holliday post# 91003

Friday, 03/29/2019 1:26:08 PM

Friday, March 29, 2019 1:26:08 PM

Post# of 139657
It is also must be non-exclusionary, meaning a release by the CEO of $CMGO cannot block information from any member of the public.

Regulation FD: 17 CFR § 243

(e)Public disclosure.

(1) Except as provided in paragraph (e)(2) of this section, an issuer shall make the “public disclosure” of information required by § 243.100(a) by furnishing to or filing with the Commission a Form 8-K (17 CFR 249.308) disclosing that information.

(2) An issuer shall be exempt from the requirement to furnish or file a Form 8-K if it instead disseminates the information through another method (or combination of methods) of disclosure that is reasonably designed to provide broad, non-exclusionary distribution of the information to the public.


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