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Rule
Companion Policy 81-102CP amended May 31, 2013
Rule
Consequential Amendments resulting from Rule 81-106(Amendment)
Rule
Consequential Amendments to 81-102 resulting from Rule 81-106(Amendment)
Rule
Consequential Amendments to NI 81-101 resulting from Rule 81-106(Amendment)
Rule
Consequential Amendments to NI 81-101 resulting from Rule 81-106(Amendment)
Rule
Consequential Amendments to NI 81-104 resulting from Rule 81-106(Amendment)
Rule
Consequential Amendments to Rule 81-801 resulting from Rule 81-106(Amendment)
Rule
Form 81-101F2 Consolidated as of Sept. 1, 2013
Rule
NI 81-101 Consolidated Version as of May 14, 2013
Rule
NI 81-102 Consolidated Version as of May 31, 2013
CSA Notice
Notice and Request for comment Proposed CSA Mutual Fund Risk Classification Methodology for Use in Fund Facts. Comment period ended March 12, 2014
CSA Notice
Notice of Amendments - NI 81-101 and Consequential Amendments
CSA Notice
Notice of Amendments to NI 81-106 and Related Amendments
Rule
Rule 81-101 (Amendment) and Consequential Amendments
Rule
Rule 81-106 (Amendment)
CSA Notice
Status Report on Consultation under CSA Discussion Paper and Request for Comment 81-407 Mutual Fund Fees [CSA Notice 81-313]

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  • Failure to file an annual or interim management’s discussion and analysis (MD&A) or an annual or interim management report of fund performance (MRFP).
  • Failure to file an Annual Information Form (AIF).
  • Failure to file a certification of annual or interim filings required by Multilateral Instrument 52-109 Certification of Disclosure in Issuers’ Annual and Interim Filings (MI 52-109).
  • Failure to file required proxy materials or a required information circular.
  • Failure to file an issuer profile supplement on the System for Electronic Disclosure by Insiders (SEDI).
  • Failure to file a material change report.
  • Failure to provide a written update after filing a confidential report of a material change.
  • Failure to file a business acquisition report.
  • Failure to file annual oil and gas disclosure prescribed by National Instrument 51-101 Standards of Disclosure of Oil and Gas Activities (NI 51-101) or technical reports for a mineral project required under NI 43-101 Standards of Disclosure for Mineral Projects (NI 43-101).
  • Failure to file a mandatory news release.
  • Failure to file corporate governance disclosure as required by national Instrument 58-101 Disclosure of Corporate Governance Practices (NI 58-101).
  • Failure to file audit committee disclosure as required by Multilateral Instrument 52-110 Audit Committees (MI 52-110) or BC Instrument 52-509 Audit Committees.
  • Failure to include disclosure in an issuer’s MD&A relating to disclosure controls and procedures and their direct effectiveness that is referred to in a certificate filed under MI 52-109.
  • Financial statements of the reporting issuer, or the auditors’ report accompanying the financial statements, do not comply with the requirements of NI 51-102 Continuous Disclosure Obligations (NI 51-102), National Instrument 81-106 Investment Fund Continuous Disclosure (NI 81-106) or National Instrument 52-107 Acceptable Accounting Principles, Auditing Standards and Reporting Currency (NI 52-107).
  • The reporting issuer has acknowledged that its financial statements, or the auditors’ report accompanying the financial statements, may no longer be relied upon.
  • The reporting issuer’s AIF, MD&A, MRFP, information circular, or business acquisition reports do not contain information for each of the content items required by NI 51-102 or NI 81-106.
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  • Failure to pay a fee required by the Act or the regulations.
  • Failure to comply with any other requirement related to continuous disclosure.