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CROWN CRAFTS INC — Director's Dealing 2014
Nov 27, 2014
34800_dirs_2014-11-26_06946806-2c99-4f08-b489-7b3751ffc349.zip
Director's Dealing
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SEC Form 4 — Statement of Changes in Beneficial Ownership
Issuer: CROWN CRAFTS INC (CRWS)
CIK: 0000025895
Period of Report: 2014-11-24
Reporting Person: FREEMAN NANCI (Pres & CEO/Infant Products Div)
Non-Derivative Transactions
| Date | Security | Code | Shares | Price | A/D | Holdings After | Ownership |
|---|---|---|---|---|---|---|---|
| 2014-11-24 | Common Stock | D | 20000 | $0.00 | Disposed | 219968 | Direct |
| 2014-11-24 | Common Stock | A | 20000 | $0.00 | Acquired | 239968 | Direct |
| 2014-11-24 | Common Stock | F | 10516 | $7.24 | Disposed | 229452 | Direct |
Footnotes
F1: The two reported transactions reflect the amendment of an outstanding restricted stock award, resulting in the deemed cancellation of the restricted stock award originally granted to the Reporting Person on June 23, 2010 and the grant of a replacement award for the same number of shares. The prior restricted stock award, made pursuant to the Issuer's 2006 Omnibus Incentive Plan, with the condition to vesting that the trading price of the Issuer's common stock close at or above $5.00 per share for ten (10) days during any thirty (30) consecutive trading day period prior to July 29, 2015 having been met, was amended by the replacement award to provide that all 20,000 shares of the common stock subject to such award shall be vested as of November 24, 2014.
F2: This transaction represents the withholding of 10,516 shares of common stock to satisfy the tax withholding obligations incurred by the Reporting Person upon the vesting of the restricted stock award of 20,000 shares of common stock originally awarded to the Reporting Person on June 23, 2010 and amended on November 24, 2014 to accelerate the vesting of such shares from July 29, 2015 to November 24, 2014. The purpose of the amendment is to accelerate the vesting of a portion of the grant into the Issuer's current taxable year in order to preserve the deductibility of such amount to the Issuer for income tax purposes.