Delayed disclosure of inside information concerning financial reporting

When can inside information generally be delayed? The main rule in MAR is that inside information should be published as soon as possible (Article 17). However, a publication may be postponed if [...]

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Checklist - 7 requirements to comply with MAR

We have produced a condensed 7-bullet checklist with some of the most important obligations that need to be fulfilled in order to be compliant with MAR. The checklist is valid irrespective of [...]

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Delegated list vs subsidiary list - personal responsibility, pitfalls and practical tips

EU has released certain MAR alleviations related to SME Growth Markets (“SMEGMs”). It is clear that the SMEGM insider list alleviations will not apply to the obligations of persons with inside information [...]

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EU SME Growth Markets alleviations are limited

MAR currently provides only two minor alleviations for SMEGM issuers: allowing to post inside information on the trading venue's website, instead of the issuer's website, and allowing establishing the insider lists first [...]

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Handling (inside) information and alternative data

Most professionals affected by MAR are aware that, to be classified as insider information, the information needs not only to be considered precise with a likely significant price effect - but also [...]

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