proposed changes to ni 43-101

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PDAC2011 Proposed changes to NI 43- 101 MasterMINING, May 3 and 4, 2011 Craig Waldie, P.Geo., Senior Geologist [email protected] Jim Whyte, P.Geo., Senior Geologist [email protected]

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Proposed changes to NI 43-101. MasterMINING, May 3 and 4 , 2011. Craig Waldie, P.Geo. , Senior Geologist [email protected] Jim Whyte, P.Geo. , Senior Geologist [email protected]. - PowerPoint PPT Presentation

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Page 1: Proposed changes to NI 43-101

PDAC2011

Proposed changes to NI 43-101

MasterMINING, May 3 and 4, 2011

Craig Waldie, P.Geo., Senior Geologist [email protected]

Jim Whyte, P.Geo., Senior Geologist [email protected]

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The views expressed in this presentation are our own and do not bind the OSC or other commission staff.

These materials are provided for general information purposes only and do not constitute legal advice.

These are the changes published April 8, 2011, which are still subject to Ministerial approval in Ontario.

Information has been summarized and paraphrased for presentation purposes.

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Agenda

National Instrument• Professional association and qualified person• All disclosure• Technical report triggers• Certificates and consents

Technical Report Form• 2 forms in 1

Companion Policy

Questions and Answers

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Fundamental Principles of NI 43-101

1. Qualified Person• Scientific and technical disclosure must be prepared by a

“Qualified Person” (QP)

2. Standards and Definitions• Adopts CIM categories of resources and reserves as a

reporting standard• Defines terms like pre-feasibility and feasibility study,

exploration information, “preliminary economic assessment”

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Fundamental Principles of NI 43-101

3. Prohibited Disclosure

• Potentially confusing and undermines the credibility of the market

• No disclosure of a quantity of mineralized material unless it is certified as a resource or reserve

• Must disclose both tonnage and grade, and show all classes of resource or reserve

• Some disclosure of non-compliant information is permitted, but always with clear cautionary language

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Fundamental Principles of NI 43-101

4. Technical Report• Form 43-101F1 – spells out the information the report

needs• Filed to support scientific and technical disclosure on a

project material to the company• Certain disclosure events trigger the requirement for a

technical report:• Financing documents, exchange listing documents• Takeover bids and directors’ circulars• Annual Information Form• Material change to resources or reserves

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Purpose of Proposed Changes

Maintain investor protection while making compliance less costly for companies

• Preserve core principles of NI 43-101• Provide more flexibility for companies and QPs• Distribute responsibility fairly between the company and QP• Reduce the scope of certain requirements• Clarify areas not having the intended effect

Changes reflect• 10 years of regulatory experience• Changes in industry practices• Stakeholder consultations in 2009• Public comments in 2010

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National Instrument

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Definitions – New and Modified

Acceptable foreign code

Advanced property

Effective date

Historical estimate

Preliminary economic assessment

Professional association

Qualified person

Specified exchange

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“Qualified Person”

Education• Engineer or geoscientist with a university degree related

to mineral exploration or mining

Experience• At least five years of experience in mineral exploration,

mine development or operation, or mineral project assessment that is relevant to professional degree, and

• Experience relevant to the subject matter of the mineral project and technical report

Accountability• In good standing with a professional association

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“Professional Association”

Remove Appendix A from National Instrument

New objective test for foreign associations• Generally accepted as a reputable professional

association• Admits individuals based on education, experience and

ethical fitness• Requires compliance with professional standards of

competence and ethics • Requires or encourages continuing professional

development• Applies disciplinary powers regardless of where the

member practises or resides

Companion Policy• Includes revised list of foreign associations and required

membership designations

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Foreign Association – Membership Class

1. Attainment of a position of responsibility; and• Exercise of independent judgment

2. A) Favourable confidential peer evaluation; or• Individual’s character, professional judgement,

experience, and ethical fitness

B) Demonstrated prominence or expertise in the field of mineral exploration or mining

• At least five years of professional experience and a level of responsibility such as:

• At least three years in a position of responsibility where the person was depended on for significant participation and decision making;

• Experience of a responsible nature and involving the exercise of independent judgment in at least three of those years;

• At least five years in a position of major responsibility, or a senior technical position of responsibility.

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Applicable to All Disclosure

All technical information must be• Prepared or approved by a QP

• Addresses instances where information is not prepared by the QP

Restricted/prohibited disclosure• No economic analysis on exploration targets or

historical estimates• No gross metal values or in-situ values• No total grades or equivalent grades unless grade of

each metal disclosed (total precious metals, total rare earths, “gold-equivalent”)

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Historical Estimate

New definition• Unverified estimate prepared prior to the company

acquiring the property• No longer tied to February 1, 2001 date

Combined s. 2.4 and 4.2(2)• Source and date etc.• Cautionary statements required each time historical

estimate is disclosed

Added• Include key assumptions, parameters, methods• Comment on the work needed to upgrade and verify

the historical estimate

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Preliminary Economic Assessment

Removed several restrictions• “prior to completion of a pre-feasibility study”• “results must represent a material change”

Added• “describe the impact of the PEA on existing studies”

(prefeasibility or feasibility)• Are the mineral reserves still valid?

• Word “economic” reflects industry term (PEA)

Examples of its application:• Economic conditions change and nullify an earlier reserve

estimate• Producing mine with a newly-discovered inferred resource• Operating transitions (pit to underground, oxide to fresh)

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Written Disclosure

Qualified Person• Name and relationship of QP that prepared or approved

the technical information

Exploration information• Location, azimuth and dip of drill holes• Depth of sample intervals

Mineral resources and mineral reserves• Drafting changes

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Trigger

CASE 1

Not a material change in relation to the company

CASE 2

Material change in relation to the company

But is NOT related to 1st time or a change to resources, reserves, or a PEA

CASE 3

Material change in relation to the company

That IS related to

1st time or a change to resources, reserves, or a PEA

Keep, remove or modify the trigger?• Notice included specific questions for public comment• Solicited comments from investor advocacy groups

Remove - rely on latest AIF and disclosure record

Modify - new technical report if technical information meets Case 2 or 3

Short Form Prospectus Trigger

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Any Written Disclosure Trigger Modification of the “news release” trigger

• Back to the 2001 principle• News release, fact sheet, presentation – anything

permanent

Any first time written disclosure of any of the following that constitutes a material change in relation to the company• Mineral resource• Mineral reserve• PEA• Change in mineral resource, mineral reserve or PEA

Must file a news release when the technical report is filed on SEDAR• Alerts investors – technical report may be filed up to 45

days after disclosure

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Annual Information Form Trigger

Removed “grandfathering” exemption • Company’s disclosure should not still be relying on a

pre-2001 AIF, prospectus or material change report

May impact some large companies that have never filed a technical report on their material properties• New technical report, if triggered, is still required to be

filed at the same time as the AIF

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Property Acquisition Trigger

Acquisition of a property with a “current” technical report by another company • New filing delay – 180 days – under certain conditions

1. Technical report has been previously filed by another company that held the property

2. New company• Identifies other company and technical report title and date• Names QP who reviewed the technical report on behalf of new

company• States – to the best of the company’s knowledge, information,

and belief, there is no new material scientific or technical information that would make the disclosure of the mineral resources, mineral reserves or results of a preliminary economic assessment, inaccurate or misleading

3. New company files a new technical report supporting its disclosure within 180 days

4. Must file a news release when the technical report is filed on SEDAR

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Relying on a “Current” Technical Report

Removed requirement for QP to provide updated QP certificates and consents• Company is in the best position to determine if there is

no new material technical information• Company’s determination is transparent and open to

challenge by both investors and regulators• QP, especially if an independent contractor, should not

be obliged to babysit a project the company is managing

Requires that the company's previous technical report still support disclosure in the trigger document (AIF, circular, offering document, etc.)• No new material scientific or technical information• The company’s disclosure must still be approved by its

internal QP

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Independent QP

New exemption for “producing company” listed on a “specified exchange” that wants to become a reporting issuer in Canada

• Such companies are subject to comparable requirements under rules of the specified (foreign) exchanges

• ASX, LSE, JSX, NASDAQ, HKEX, Wallstrasseboerse

• This has been interpreted (wrongly) as an exemption from filing reports on becoming a reporting issuer

• The foreign issuer must still file technical reports on its material properties, but internal QPs can be the authors

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Foreign Codes

“Acceptable foreign code” • JORC Code• PERC Code• SAMREC Code• SEC Industry Guide 7• Certification Code• Any other code generally accepted in a foreign

jurisdiction that is consistent with CIM Definition Standards on Mineral Resources and Mineral Reserves

Reconciliation• In response to public comment, we retained the

requirement to reconcile foreign codes to CIM definitions, in case any foreign jurisdiction later goes its own way

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Technical Report Form

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Technical Report - Form 43-101F1

New Form! Revised with assistance of mining advisory

committee (MTAMC) and public comments• Single form with better balance between exploration

and advanced properties• Broadened “Item 25-type” information for properties

with a PEA, pre-feasibility of feasibility study• Less prescriptive and improved organization• Deleted most occurrences of “must” and “details”• More guidance on certain items

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General Instructions

Objective• Summary of material technical information that is

understandable to a reasonable investor

2 forms in 1• Items 1 - 14 and 23 - 27 for all technical reports• Items 15 - 22 for “advanced properties”

• Mineral resources where potential economic viability is supported by PEA, pre-feasibility or feasibility study; or

• Mineral reserves

May refer to information from previous report if• Information is still current• Identify title, date & author of previous technical report• Summarize or quote the referenced information• QP can’t disclaim responsibility (i.e. due diligence)

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Revisions to Technical Report Form

Title, Contents Items 1-2

Summary, Introduction, Reliance

Items 3-5

Location, Access, History Items 6-8

Geology, Deposit Types, Mineralization

Items 9-11

Work Program, Results, Verification

Items 12-18

Resource and Reserve Estimates

Item 19

Conclusions, Recommendations

Items 20-22

References Item 23

Date, Signature Item 24

Development Information Item 25

Illustrations Item 26

“General Contents”

Title, Date, Signature, Contents, Illustrations

Items 1-3Summary, Introduction, Reliance

Items 4-6 Location, Access, History

Items 7-8Geology and Mineralization, Deposit Types

Items 9-13Work Program, Results, Verification

Item 14

Item 15

Mineral Resources

Mineral Reserves

Item 16-22

Mining, Recovery, Infrastructure, Markets, Contracts, Environmental, Social Impact, Economic Analysis

Items 23-26Adjacent Properties, Other Data, Conclusions, Recommendations

Item 27 References

Existing Form New Form

“Advanced Property”: Items 15 to 22

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General Contents

Title Page• No change

Date and Signature Page• Either at beginning or end of the technical report

Table of Contents• Some heading changes

Illustrations• Maps and plans – show what is significant to the stage of

activity (exploration, advanced, development)

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Summary

Added• Summarize “important” information about the property• Mineral resource and mineral reserve estimates and

removed exploration concept

Introduction

Terms of reference• Objectives and scope the technical report• Professionals involved and their responsibilities

Personal inspection• Who, when and what

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Added• Valuations for diamonds/gemstones• Commodities where pricing not publicly available

Clarified conditions for use of reliance on experts

Reliance on Other Experts

Property Description and Location

Added• Risks affecting legal access, title, ability to perform work

Deleted• How property boundaries are located• Location of mineralization, workings, natural features, etc.

(duplicates illustration requirements)

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Accessibility, Climate, Local Resources, Infrastructure and Physiography

No changes

History

New Instruction• Distinguish previous work conducted within the current

property boundary from previous work outside the property boundary

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Geological Setting and Mineralization

Combined related Items• Item 9 (Geological Setting)• Item 11 (Mineralization)• Consolidates associated information

Deposit Types

No changes

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Exploration

Combined related Items• Item 12 (Exploration)• Relevant portions of Item 14 (Sampling Method and

Approach)• Information associated with surface exploration and

sampling now under one heading

Deleted• Whether work carried our by company or contractor

• Company is ultimately responsible for its disclosure

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Combined related Items• Item 13 (Drilling)• Relevant portions of Item 14 (Sampling Method and

Approach)• Information associated with subsurface exploration and

sampling now under one heading

Added• Drill hole location, azimuth, and dip

• Properties with mineral resources may meet this requirement by providing a drill plan and representative drill sections through the mineral deposit

New Instruction• Clearly distinguish drilling results by previous owner

from results by the company

Drilling

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Sample Preparation, Analysis, Security Added

• Relationship of laboratory to the company• QA/QC action taken or recommended to provide

confidence in data collection and processing

Explicit

Deleted• Statement whether sample preparation before dispatch

to laboratory was done by an employee of the company

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Data Verification

Clarify• Steps taken by QP to verify the data in technical report

Removed• Requirement to discuss quality control

• Duplicates pervious Item

• Statement whether QP has verified the data• Replaced with opinion of QP

Added• QP’s opinion on the adequacy of the data for the

purposes used in the technical report • Reasons for limited verification or failure to verify data

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2011 Mineral Processing and

Metallurgical Testing Expanded requirements

• This is the description of metallurgical testing – for advanced projects, plant design has its own section (17)

• Nature and extent of testing and summary of results• Basis for assumptions/predictions of recoveries• Representativeness of test samples to types/styles of

mineralization and mineral deposit as a whole• Any deleterious elements or processing factors

potentially affecting economic extraction

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Mineral Resource Estimates

Separate item for mineral resources

Summarize• Key assumptions, parameters, and methods for a

reasonably informed reader to understand how mineral resources were estimated

• Comply with disclosure required by s. 2.2, 2.3, and 3.4

New Instruction• With multiple cut-off grades, highlight base case cut-off• All estimates resulting from each cut-off grade must

meet test of “reasonable prospects of economic extraction”

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2011 Additional Requirements for

“Advanced Properties” Items 15 to 22

• Concept of an “advanced property”• Addresses industry concerns about modify existing Form• Generally replaces Item 25-type information

Items• Mineral Reserve Estimates• Mining Methods• Recovery Methods• Project Infrastructure• Market Studies and Contracts• Environmental Studies, Permitting and Social or

Community Impact• Capital and Operating Costs• Economic Analysis

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Mineral Reserve Estimates

Separate item for mineral reserves

Summarize• Key assumptions, parameters, and methods for a

reasonably informed reader to understand how mineral reserves were estimated

• Comply with disclosure required by s. 2.2, 2.3, and 3.4• Discuss extent to which mineral reserves could be

materially affected by:• Mining• Metallurgical• Infrastructure• Permitting• Other relevant factors

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Mining Methods

Based on Items 25(a) and (j) of Old Form

Summarize• Current/proposed mining method• Geotechnical and hydrological aspects of the mine• Stripping and underground development issues• Mining fleet and machinery requirements• Production rates, dilution and mine life

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Recovery Methods

Based on Items 25(a) and (b) of Old Form

Summarize• Issues specific to plant design and flow sheet• Recoverability and amenability of mineralization to the

recovery process• Requirements for energy, water and process materials

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Project Infrastructure

New requirement – not in Item 25 of Old Form

Infrastructure is critical to project costs

Summary of logistics issues such as• Roads, rail and port facilities• Dams, dumps, stockpiles and leach pads• Tailings disposal, pipelines and power

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Market Studies and Contracts

Based on Items 25(c) and (d) of Old Form

Market studies• Summary of markets for commodities produced• Nature of studies completed

• Marketing and product specification requirements• Commodity price projections

• Confirm QP has reviewed the studies• Results support assumptions in technical report

Contracts• Identify material contracts in place or under negotiation• Indicate if terms are within industry standards

Removed from April 2010 draft• Disclosure of contract terms and results of studies

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2011 Environmental Studies, Permitting

and Social or Community Impact Based on Item 25(e) of Old Form

Summarize• Environmental issues impacting extraction of the

mineral deposit• Tailings disposal, site monitoring, water management • Permit requirements and status of permits• Mine closure requirements and costs

Added• “Social license”• Social or community related plans• Status of negotiations or agreements with communities

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Capital and Operating Costs

Based on Item 25(g) of Old Form

Summarize• Capital and operating costs in tabular form• Explain and justify the basis for cost estimates

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Economic Analysis

Based on Items 25 (f), (h), (i) and (j) of Old Form

Summarize• Clear statement and justification for main assumptions• Cash flow forecasts on annual basis • NPV, IRR and payback• Taxes, royalties and government levies• Sensitivity or other analyses and impact of the results

New Instruction• Producing issuers may exclude the economic analysis for

properties in production, unless a material expansion is planned

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Adjacent Properties

Relocated this Item

Drafting change

Other Relevant Data and Information

No change

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Interpretation and Conclusions

Modified• More applicable to various stages of project development• Less emphasis on exploration projects

Added• Identify significant risks and uncertainties• Discuss potential impacts of these risks to the projects

potential viability or continued viability

Removed• Whether completed work met its original objectives

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Recommendations

New Instruction• If no work program or budget is proposed – explain why

References

No changes

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Companion Policy

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Companion Policy

Restructured to track sections in NI 43-101• 2.4 of NI 43-101 guidance in 2.4 of 43-101CP

Provides more guidance and interpretation• Material property• Cautionary language• Technical report triggers• Certificates and consents

Appendix A• Revised list of foreign associations and required

membership designations

Appendix B• Template for QP Consent

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Questions?