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Greenbriar Sustainable Living Inc V.GRB

Alternate Symbol(s):  GEBRF

Greenbriar Sustainable Living Inc. is a developer of sustainable entry-level housing and renewable energy projects. The Company’s primary business is the acquisition, management, development, and possible sale of real estate and renewable energy projects. It operates through three segments: real estate development in the United States (Real Estate), solar energy projects in Puerto Rico (Solar Energy) and corporate headquarters located in Canada (Corporate). The Company is focused on building two large-scale projects, namely Sage Ranch in Tehachapi, California and Montalva in Guanica, Puerto Rico. Sage Ranch is a real estate community of over 995 entry-level homes in the Tehachapi Valley, a community located in southern California. Its Montalva property (1,747 acres) is a large utility-scale solar and battery storage building with an initial size of 80 MWac or 160 MWdc, located in the southwestern coastal area of Puerto Rico. Its Cordero Ranch property is located in Cedar City, Utah.


TSXV:GRB - Post by User

Comment by shnepson Dec 19, 2024 3:19pm
57 Views
Post# 36370916

RE:RE:RE:RE:Land for Montalva

RE:RE:RE:RE:Land for MontalvaReferencing the official regulatory documents (MD&A) you will also note the fact that there is no mention of Cordero Ranch or any projects in Hawaii, Arizonia or Puerto Rico housing.
Why is that?

I'm very happy to see the BCSC (British Columbia Securities Commission) implementing the following security law revision, related to misrepresentation and false or misleading statements. Considering a corporate website is viewed as promotional material the following statement applies -

"Application of section 50(3) to an issuer’s disclosure “Promotional activity” under the Act means any activity, including any oral or written communication, that by itself or together with another activity encourages or reasonably could be expected to encourage a person to purchase, not purchase, trade or not trade a security or derivative. This definition includes not only disclosure in connection with offerings and 2 continuous disclosure documents but also online securities promotions or marketing, such as promotions on social media, in chat rooms, videos, emails and newsletters."

This is good for every publicly traded company, in my opinion.

https://www.bcsc.bc.ca/-/media/PWS/New-Resources/Securities-Law/Instruments-and-Policies/Policy-1/BCN-15702-December-12-2024.pdf?dt=20241212184033
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