Continuous disclosure and wiki publication
docs(entity-naming): Phase 2 — fix BCSC-material fee misattribution and sentence-initial full-legal-name openings across fee/disclosure/disclaimer surfaces (entity-naming-convention.md §§5,7.1,7.2,7.8,10)
@@ -12,17 +12,17 @@ status: active audience: public bcsc_class: public-disclosure-safe language_protocol: PROSE-TOPIC last_edited: 2026-08-24 last_edited: 2026-08-26 editor: pointsav-engineering paired_with: about-continuous-disclosure.es.md cites: [] --- Woodfine Capital Projects Inc. intends to become subject to the full continuous-disclosure regime of National Instrument 51-102 upon effectiveness of its planned prospectus offering. That instrument (Continuous Disclosure Obligations) sets the periodic and event-driven reporting requirements for reporting issuers in Canada: annual filings, quarterly reporting, and material change obligations. Each direct-hold limited partnership that has completed a prospectus offering is itself a separate reporting issuer, with independent NI 51-102 obligations filed on SEDAR+. The regime therefore applies to multiple entities within the Woodfine group — each filing separately — and governs disclosures pertaining to [[direct-hold-framework|Direct-Hold]] assets held under each vehicle's governing-body custody. The full continuous-disclosure regime of National Instrument 51-102 is planned to bind Woodfine upon effectiveness of its planned prospectus offering. That instrument (Continuous Disclosure Obligations) sets the periodic and event-driven reporting requirements for reporting issuers in Canada: annual filings, quarterly reporting, and material change obligations. Each direct-hold limited partnership that has completed a prospectus offering is itself a separate reporting issuer, with independent NI 51-102 obligations filed on SEDAR+. The regime therefore applies to multiple entities within the Woodfine group — each filing separately — and governs disclosures pertaining to [[direct-hold-framework|Direct-Hold]] assets held under each vehicle's governing-body custody. ## Key takeaways - Woodfine Capital Projects Inc. intends to become subject to the full NI 51-102 continuous-disclosure regime upon effectiveness of its planned prospectus offering, including MD&A, audited financial statements, and quarterly interim reporting; whether an annual information form is part of that regime depends on venture-issuer classification, which is not yet determined for this planned offering. - The full NI 51-102 continuous-disclosure regime is planned to bind Woodfine upon effectiveness of its planned prospectus offering, including MD&A, audited financial statements, and quarterly interim reporting; whether an annual information form is part of that regime depends on venture-issuer classification, which is not yet determined for this planned offering. - Each direct-hold limited partnership that completed a prospectus offering is a separate reporting issuer with its own NI 51-102 obligations — it files independently on SEDAR+ and is not consolidated into the parent's disclosure package. - Material changes require immediate disclosure — a press release as soon as practicable and a Form 51-102F3 filing on SEDAR+ within 10 days — independent of any scheduled filing date. - Articles published on the corporate wiki are treated as disclosure-eligible, so editors apply the same material-change test to wiki publications as to formal SEDAR+ filings.