Scotttrader80
4年前
Navios Maritime Acquisition Corporation (“Navios Acquisition”) (NYSE: NNA), an owner and operator of tanker vessels, announced today that the Baghdad, a new building VLCC of 313,433 dwt under bareboat lease, was delivered on October 28, 2020 from a Japanese shipyard.
letitgrow24
8年前
All these companies increased position in $NNA first quarter 2017.
"Several institutional investors have recently modified their holdings of the company. Bank of New York Mellon Corp increased its position in shares of Navios Maritime Acquisition by 3.0% in the first quarter. Bank of New York Mellon Corp now owns 227,039 shares of the shipping company’s stock worth $390,000 after buying an additional 6,592 shares during the period. Vanguard Group Inc. increased its position in shares of Navios Maritime Acquisition by 2.5% in the first quarter. Vanguard Group Inc. now owns 160,577 shares of the shipping company’s stock worth $276,000 after buying an additional 3,841 shares during the period. California Public Employees Retirement System increased its position in shares of Navios Maritime Acquisition by 54.5% in the first quarter. California Public Employees Retirement System now owns 148,000 shares of the shipping company’s stock worth $255,000 after buying an additional 52,200 shares during the period. Finally, Teachers Advisors LLC increased its position in shares of Navios Maritime Acquisition by 28.5% in the first quarter. Teachers Advisors LLC now owns 147,106 shares of the shipping company’s stock worth $253,000 after buying an additional 32,663 shares during the period. 16.87% of the stock is currently owned by institutional investors."
https://sportsperspectives.com/2017/05/18/navios-maritime-acquisition-co-announces-quarterly-dividend-of-0-05-nna.html
investorwisdom
13年前
What do you mean? It's not a offer, only a exchange Exchange of Outstanding Notes for Exchange Notes
The exchange of outstanding notes for exchange notes in the exchange offer will not be a taxable exchange for U.S. federal income tax purposes and, accordingly, for such purposes a U.S. holder will not recognize any taxable gain or loss as a result of such exchange and will have the same tax basis and holding period in the exchange notes (and, in the case of a U.S. holder that paid pre-issuance accrued interest in connection with the U.S. holder’s purchase of the outstanding notes in their original offering, the same amount of pre-issuance accrued interest in the exchange notes) as it had in the outstanding notes immediately before the exchange.