2021-05-20
The securities regulators amend Policy Statement to Regulation 71-102 to clarify how foreign issuers may utilize U.S. Form 20F filings to satisfy specific continuous disclosure exemptions. The revised text permits issuers to file the Form 20F on SEDAR under the annual disclosure statement category or one of the annual financial statement, AIF, or MD&A categories. For any remaining categories, the issuer must file a letter referencing the SEDAR project number under which the Form 20F was originally filed.