Friday, July 4, 2014

Company announcements: Prudential500USD, Manhattan Res

Prudential500USD - General Announcement::Monthly Return of Equity Issuer on Movements in Securities for the month ended 30 June 2014

Announcement Type: General Announcement
Company: PRUDENTIAL PLC
Stock Code/Name: K6S - Prudential500USD

General Announcement::Monthly Return of Equity Issuer on Movements in Securities for the month ended 30 June 2014
Issuer & Securities
Issuer/ ManagerPRUDENTIAL PLC
SecuritiesPRUDENTIAL PLC - GB0007099541 - K6S
Announcement Details
Announcement Title General Announcement
Date & Time of Broadcast04-Jul-2014 12:30:09
StatusNew
Announcement Sub TitleMonthly Return of Equity Issuer on Movements in Securities for the month ended 30 June 2014
Announcement ReferenceSG140704OTHR8H9N
Submitted By (Co./ Ind. Name)Ms Fiona Wong
DesignationDeputy Group Secretary
Description (Please provide a detailed description of the event in the box below)Please refer to the attachment.
Attachments



Manhattan Res - Query Regarding Trading Activity::

Announcement Type: Query Regarding Trading Activity
Company: MANHATTAN RESOURCES LIMITED
Stock Code/Name: L02 - Manhattan Res

Query Regarding Trading Activity::
Issuer & Securities
Issuer/ ManagerMANHATTAN RESOURCES LIMITED
SecuritiesMANHATTAN RESOURCES LIMITED - SG1I14879601 - L02
Announcement Details
Announcement Title Query Regarding Trading Activity
Date & Time of Broadcast04-Jul-2014 11:45:49
StatusNew
Announcement ReferenceSG140704OTHRQDJ0
Submitted By (Co./ Ind. Name)SINGAPORE EXCHANGE SECURITIES TRADING LIMITED
Designation SURVEILLANCE
Query Description (Please provide a detailed description of the Query in the box below)4 July 2014

Manhattan Resources Limited


Dear Sir

QUERY REGARDING TRADING ACTIVITY

We have noted, and draw to your attention, unusual price movements in your shares recently. To ensure a fair, orderly and transparent market, please answer each of the following:

Question 1: Are you (the issuer) aware of any information not previously announced concerning you, your subsidiaries or associated companies which, if known, might explain the trading? Such information may include events that are potentially material and price-sensitive, such as discussions and negotiations that may lead to joint ventures, mergers, acquisitions or purchase or sale of a significant asset. You may refer to paragraph 8 in Appendix 7.1 of the Mainboard Rules for further examples.
- If yes, the information shall be announced immediately.

Question 2: Are you aware of any other possible explanation for the trading? Such information may include public circulation of information by rumours or reports.

Question 3: Can you confirm your compliance with the listing rules and, in particular, Mainboard Rule 703?


This is the second query issued to your company in past four months. The Board of Directors shall collectively and individually take responsibility for the accuracy of the reply to the query. Please also refer to Practice Note 7.1 of the Mainboard Rules for guidelines to deal with particular situations and issues. This may include the issuance of a holding announcement, if necessary.

Please respond immediately via SGXNet. Where appropriate, you may want to request a trading halt or a suspension of trading. Please contact Securities Market Control (or, if you need to discuss the matter, your Account Manager in Issuer Regulation) immediately. Thank you for your cooperation.

We have released this letter via SGXNet.

Yours faithfully



Kelvin Koh
Vice President
Head of Surveillance



Notes:
1. An issuer must announce any information known to the issuer concerning it or any of its subsidiaries or associated companies which is necessary to avoid the establishment of a false market in the issuer s securities, or would be likely to materially affect the price or value of its securities (Rule 703).
2. An issuer must undertake a review to determine the causes of any unusual trading activity (paragraph 20 of Appendix 7.1).
3. An announcement should, among other things, state whether the issuer or any of its directors are aware of the reasons for the unusual trading activity and whether there is any material information which has not been publicly disclosed (paragraph 31 of Appendix 7.1).
4. Your responsibility under listing rules is not confined to, or necessarily satisfied by, answering the questions in this letter.
Query Submission Date and Time04-Jul-2014 11:45:49



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