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Re: TenKay post# 87441

Monday, 05/20/2019 11:37:03 AM

Monday, May 20, 2019 11:37:03 AM

Post# of 164203
Time will tell. 4 entities under 1. So much to be done... unprecedented for anyone on this board so... we will see.
Not typical stinky pink company here no matter how one spins it.
The Rotman's..... getting it done !$!

Under the new rules, exchange offers that commence early also are exempt from the final prospectus delivery requirement. The SEC, however, has established defined periods that are necessary for the dissemination of a prospectus supplement that contains material changes. The revised Rule 14d-4 states that an exchange offer that is commenced early must remain open for at least:

five business days for a prospectus supplement containing a material change other than price or share levels;

ten business days for a prospectus supplement containing a change in price, the number of shares sought, the dealer's soliciting fee or other similarly significant change;

ten business days for a prospectus supplement included as part of a post-effective amendment and

20 business days for a revised prospectus when the initial prospectus was materially deficient (e.g., filing a "shell" document or failing to comply with going-private rules).

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