Thank you!
The Liquidators of Jervois, pursuant to Section 104-145(1) of the Australian Income Tax Assessment Act 1997, have
declared that they have reasonable grounds to believe that there is no likelihood that the shareholders of Jervois will
receive any distribution for their shares.
Having regard to the above, shareholders who acquired shares in Jervois on or after 20 September 1985 may
choose to make a capital loss in the income year which includes today’s date 16 May 2025 as a result of CGT event
G3 happening to their shares
Thank you!The Liquidators of Jervois, pursuant to Section...
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