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Replies to post #91576 on 8000 Incorporated (EIGH)
neheth
12/17/10 11:48 AM
#91577 RE: LostTexan #91576
Virtual Drew
12/17/10 11:58 AM
#91579 RE: LostTexan #91576
Under the regulation, the required public disclosure may be made by filing or furnishing a Form 8-K, or by another method or combination of methods that is reasonably designed to effect broad, non-exclusionary distribution of the information to the public.
In the Proposing Release, we stated that an issuer's posting of new information on its own website would not by itself be considered a sufficient method of public disclosure. As technology evolves and as more investors have access to and use the Internet, however, we believe that some issuers, whose websites are widely followed by the investment community, could use such a method. II. Selective Disclosure: Regulation FD _B. Discussion of Regulation FD __4. "Public Disclosure" Required by Regulation FD ___b. Alternative Methods of Public Disclosure http://www.sec.gov/rules/final/33-7881.htm