Clark Wilson Acted for Pure Multi-Family REIT LP in Closing US $35 Million Bought Deal
Clark Wilson LLP acted for Pure Multi-Family REIT LP (PURE) (TSXV: RUF.U) in closing its public offering of 7,000,000 class A units, on a bought ... Continued
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Clark Wilson LLP acted for Pure Multi-Family REIT LP (PURE) (TSXV: RUF.U) in closing its public offering of 7,000,000 class A units, on a bought ... Continued
The LEAVE A LEGACY pullout included with the May 1, 2013 issue of the Vancouver Sun features an editorial by Raman Johal. Her article, “Ensure ... Continued
Heather Hettiarachchi has been invited to participate as a panelist at the DOXA Documentary Film Festival on Wednesday, May 8. She will be speaking at ... Continued
Discussion on challenging wills based on broken promises
Resolving Unexpected Death and the Role of the Coroner’s Office
Discussion of the new Family Law Act and Wills Variations claims
Discount rates are used to calculate the present day value of a loss of future income or cost of future care that is awarded as ... Continued
Vikram Dhir and James Speakman of Clark Wilson’s Corporate Finance & Securities Group acted for Pure Industrial Real Estate Trust (PIRET) (TSX: AAR.UN) in closing ... Continued
The SEC concluded that Regulation FD applies to disclosure made through social media channels.
On April 2, 2013 the United States Securities and Exchange Commission (“SEC”) published a report of its investigation on whether Netflix, Inc. (“Netflix”) and its Chief Executive Officer, Reed Hastings (“Hastings”), violated Regulation FD and Section 13(a) of the Securities Exchange Act of 1934 when on July 3, 2012, Hastings announced on his personal Facebook page that Netflix had streamed 1 billion hours of content in the month of June. Though the SEC did not pursue enforcement action in the matter, it clarified in its report that Regulation FD applies to issuer communications and disclosures through social media channels, and that SEC’s Commission Guidance on the Use of Company Web Sites, Release No. 34-58288 (Aug. 7, 2008) (the “Guide”) also applies to corporate disclosures made through social media channels. The report also suggests that Regulation FD and the Guide apply to “push” technologies, such as email alerts and RSS feeds, and “interactive” communication tools, such as blogs.
Dicussion on advance care planning and representation agreements
A long line of Canadian court decisions have looked at the issue of whether the contractor’s compliance with contract notice requirements is a condition precedent ... Continued