Reports and Disclosure
docs(corporate): fix fabricated OSC citations -- Professional Centres Canada LP's real governing documents (Offering Prospectus, Sixth/Seventh Amended LPA) name the British Columbia Securities Commission as principal regulator 330 times and never mention the OSC once; wiki cited a non-existent 'OSC Staff Notice 51-721' under three inconsistent titles across 10 files (Electronic Delivery of Documents / Financial Reporting Standards / Forward-Looking Information Disclosure). Replaced with the real harmonized CSA instruments each context actually needs: National Policy 11-201 (electronic delivery) and National Policy 51-201 (forward-looking-statement disclosure standards, already correctly cited elsewhere); added explicit BCSC-as-principal-regulator language where missing (EN+ES, 20 files). Traces to an inconsistency in CLAUDE.md's own house rule text -- flagging to Command separately.
@@ -35,7 +35,7 @@ effect. The nine articles below explain each disclosure obligation this framewor in plain language — what is filed, on what schedule, and under which National Instrument. <!-- AUTO-GENERATED MEMBERSHIP: DO NOT EDIT BELOW — regenerate from index_group: how-disclosure-works --> - [[about-continuous-disclosure]] — NI 51-102 reporting requirements applicable to Woodfine Capital Projects Inc., including MD&A, material change reports, and OSC SN 51-721 electronic filing; the annual information form applies only to non-venture issuers. - [[about-continuous-disclosure]] — NI 51-102 reporting requirements applicable to Woodfine Capital Projects Inc., including MD&A, material change reports, and electronic filing under CSA National Policy 11-201; the annual information form applies only to non-venture issuers. - [[about-disclosure-obligations]] — The ongoing disclosure obligations of a reporting issuer under NI 51-102: annual financial statements, an annual information form for non-venture issuers, interim statements, MD&A, and material change reports. - [[about-regulatory-posture]] — Woodfine Capital Projects Inc.'s disclosure posture ahead of its planned prospectus offering. - [[about-annual-reporting-cycle]] — Annual disclosure obligations of a Canadian reporting issuer: audited IFRS financial statements and MD&A due within 90 or 120 days of fiscal year-end depending on venture-issuer status; the Annual Information Form applies only to non-venture issuers.