Friday, March 19, 2021 2:53:21 PM
I can’t find any requirement for the Articles to be posted on OTC for Pink companies. It is however a requirement for OTCQB companies. Here are the links to the reporting requirements for both QB and Pink.
https://www.otcmarkets.com/files/OTCPinkGuidelines.docx
https://www.otcmarkets.com/files/OTCQXOTCQBGuidelines.pdf
With that said, I think the attorney confused matters when he mixed the documents he reviewed in one statement. One could surmise that the Articles and Bylaws were submitted Oct 5, when I think he only meant the Officer/Director disclosure was filed on that date.
Also note, in the reporting requirements for Pink, they don’t have to put out a notification for Material Corporate Events if it’s already been included in the issuer’s previous public disclosure documents. The notifications of the increase of Authorized shares were in their last filings, so I think once they submit the change to Nevada, it’s a done deal.
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