InvestorsHub Logo
Followers 36
Posts 3954
Boards Moderated 0
Alias Born 06/18/2013

Re: khawkclarke post# 46024

Thursday, 09/19/2019 9:25:10 AM

Thursday, September 19, 2019 9:25:10 AM

Post# of 52993
This is some interesting info to consider. I believe since it is a public event open to all, any information shared would be considered ok by the SEC. I could be wrong. Also, it appears they are trying to record the conference, but I have heard nothing updated from the company of course.

This is from the latest PR about the conference:

"LIG Assets CEO, Dakota Forgione, stated, “I believe the dramatic growth for LIGA in 2019 and into 2020 is just a manifestation of what has been developing and will be revealed in the following weeks and months ahead and I, along with our entire management team, anticipate LIGA exceeding even our wildest expectations for growth and profitability before year end. It’s important for LIGA shareholders to see these disruptive, game changing technologies explained and demonstrated by those at the leading edge of their respective fields. It is an experience not to be missed and one LIGA is proud to present at our 4th Annual Sustainability Impact Conference."

After 3 pm, CST, LIGA will be making several announcements and there are plans to film the conference for broadcast either LIVE or for broadcast on LIGA's website at a later date for those who can’t attend."




This is from the SEC.gov website:


Question: If an issuer wants to make public disclosure of material nonpublic information under Regulation FD by means of a conference call, what information must the issuer provide in the notice and how far in advance should notice be given?

Answer: An adequate advance notice under Regulation FD must include the date, time, subject matter and call-in information for the conference call. Issuers also should consider the following non-exclusive factors in determining what constitutes adequate advance notice of a conference call:

Timing: Public notice should be provided a reasonable period of time ahead of the conference call. For example, for a quarterly earnings announcement that the issuer makes on a regular basis, notice of several days would be reasonable. We recognize, however, that the period of notice may be shorter when unexpected events occur and the information is critical or time sensitive.

Availability: If a transcript or re-play of the conference call will be available after it has occurred, for instance via the issuer's website, we encourage issuers to indicate in the notice how, and for how long, such a record will be available to the public. [Aug. 14, 2009]