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Issuer Website · Regulation

Mandatory issuer website content under POJK 8/2015

Short answer

POJK 8/POJK.04/2015 on Issuer or Public Company Websites requires issuers to have a website containing specified information, including general information & profile, business activities, governance, financial information/reports, and shareholder information (e.g., AGM and disclosures). The aim: transparency and equal public access to information.

Mandatory content outline

POJK 8/2015 sets the existence and content of the website; other SEOJK/POJK govern report content. Good practice organizes it into a findable, bilingual IR hub and ESG hub.

Frequently asked questions

Must issuers have a website?

Yes. POJK 8/POJK.04/2015 requires issuers and public companies to have a website containing specified information.

What information is mandatory?

Among others: general/profile information, business activities, governance, financial information/reports, and shareholder information. Check the article for the full list.

Must it be bilingual?

POJK 8/2015 governs site content; for annual reports, SEOJK 16/2021 sets bilingual equivalence. Good practice applies a similar principle to the site.

How to structure it effectively?

Organize it as an IR hub and ESG hub with clear navigation, stable URLs, and schema markup so investors and AI engines can find it.

Official sources

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Compiled June 2026 from official sources. Regulations and practices evolve; verify the latest OJK/IDX/IAI/KNKG provisions before making decisions. This page is informational, not legal or accounting advice.