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Re: Myth post# 65246

Friday, 02/16/2024 12:25:28 PM

Friday, February 16, 2024 12:25:28 PM

Post# of 65780
Yup. Specifics around what is required with those reports have varied over time (ie, attorney letters went from annual to quarterly and then back to annual), but the timelines themselves have been consistent for as long as I have been involved with OTC companies:

From the OTC Disclosure guidelines:

6. Ongoing Requirements: To qualify for Current Information on an ongoing basis, companies must:
• Publish reports through OTCIQ on the following schedule:
o Quarterly Report within 45 days of the quarter end
o Annual Report within 90 days of the fiscal year end
o Attorney Letter within 120 days of the fiscal year end if financial statements are unaudited.
• Maintain a Verified Profile. At least once every six months, review and verify the Company Profile through OTCIQ.
• Maintain Transfer Agent Verified share data. If your transfer agent participates in the Transfer Agent Verified Shares Program, then your securities must have current share data verified by the transfer agent.
• Maintain an Active standing in the Company’s State of Incorporation.



As we all know, SHMN reports on a calendar year basis - Q1 = 01/01 - 03/31, etc.