The Draft Regulation states that share buybacks can be transferred through the following schemes: 1) Sold either through the stock exchange or outside the stock exchange; 2) Withdrawn by means of capital reduction; 3) Implementation of share ownership programs by employees and/or directors and boards of commissioners; 4) Implementation of payment/settlement of a particular transaction; 5) Implementation of the conversion of convertible debt securities that have been issued; 6) Proportionate distribution of repurchased shares to shareholders; and/or 7) Other methods that have been granted OJK approvals
The Amendment has now revised several points that relate to insurance companies, including additional financial reputations of non-shareholder controllers of insurance companies ("Non-Shareholder Controllers") and detailed arrangements of the integrity and/or financial feasibility or financial reputations of Non-Shareholder Controllers
As the OJK may verify and/or validate any original documents that are submitted with Applications, Organizers are obliged to provide and retain the originals of any scanned documents that they submit to the OJK in relation to the above Applications (whether said Applications are submitted via either online or offline means) for certain periods, as follows: 1) For licensing and approval documents: must be retained for as long as a licensing and approval period remains valid; and 2) For reporting documents: must be retained for a period of at least five years from the relevant reporting date
In carrying out said risk-based approach, Providers must implement the following six specific activities: 1) Identification of inherent risk; 2) Stipulation of risk tolerance; 3) Implementation of a risk-based approach; 4) Development of risk mitigation and control measures; 5) Evaluation of residual risk; and 6) Review and evaluation of any existing risk-based approach
The Draft Regulation requires all securities companies that engage in certain types of business activities to become Users, specifically: 1) Securities brokers (PPE); 2) Mutual-fund sales agents; 3) Institutional PPE marketing partners; and so forth
Following restrictions have now been introduced and will apply to Unit Link sub-funds: 1) Limits on placements of investments that derive from Unit Link sub-funds have been determined; and 2) Placements of Unit Link sub-funds in the form of mutual funds (reksa dana) are only applicable to funds with underlying assets that take the form of securities issued by the state or Bank Indonesia
All Organizers must appoint at least one controlling shareholder, while Organizers that secured business licenses prior to the promulgation of this regulation must report the appointment of said controlling shareholders and any related amendments to the OJK within six months of 4 July 2022
Organizers of LPBBTI are required to submit applications for various licenses, approvals and reporting to the OJK through the OJKs data communications network system or offline through the OJK office
LPEI is obliged to maintain and/or enhance its soundness level through the implementation of the prudential principles and risk management during the conducting of its business activities
When marketing any unit-link products, insurance companies must provide adequate documentation (in audio and/or video form) the feature explanations of the benefits, costs and risks associated with the products that are being offered (including any additional features), as well as statements from policyholders