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ACCESSO TECHNOLOGY GROUP PLC — Investor Relations & Filings

Ticker · ACSO ISIN · GB0001771426 LEI · 213800VY7MXUO7STIN73 IL Telecommunications, computer programming, consultancy, computing infrastructure, and other information service activities
Filings indexed 1,327 across all filing types
Latest filing 2019-08-06 Major Shareholding Noti…
Country GB United Kingdom
Listing IL ACSO

About ACCESSO TECHNOLOGY GROUP PLC

https://www.accesso.com/

Accesso Technology Group PLC is a technology provider that develops solutions for the leisure, entertainment, and cultural markets. The company offers an integrated suite of software designed to enhance the guest experience, simplify venue operations, and increase revenue for attractions worldwide. Its core product offerings include ticketing and eCommerce platforms, point-of-sale (POS) systems for food, beverage, and retail, patented virtual queuing technology, ticket distribution tools, and customizable mobile applications. The company's solutions are utilized by theme parks, water parks, ski resorts, cultural attractions, and other visitor destinations to manage guest interactions from pre-visit sales to in-venue engagement.

Recent filings

Filing Released Lang Actions
Form 8.5 (EPT/RI) - Accesso Technology Group Plc
Major Shareholding Notification Classification · 99% confidence The document is explicitly labeled with 'RNS Number' and contains the header 'FORM 8.5 (EPT/RI) PUBLIC DEALING DISCLOSURE BY AN EXEMPT PRINCIPAL TRADER WITH RECOGNISED INTERMEDIARY STATUS DEALING IN A CLIENT-SERVING CAPACITY' under 'Rule 8.5 of the Takeover Code'. This structure is characteristic of regulatory disclosures related to takeover activity, specifically insider dealing disclosures by exempt principal traders. While it is a regulatory filing, the specific nature of reporting director/insider transactions aligns most closely with the 'Director's Dealing' category (DIRS), although it is specifically about an exempt principal trader dealing in relation to a takeover offer. Given the options, 'Director's Dealing' (DIRS) covers personal/insider transactions by connected parties. However, the document is a formal regulatory filing disseminated via RNS concerning takeover code compliance. Since DIRS is for director/executive personal trades, and this is a specific takeover-related disclosure by a third-party trader, the most accurate general regulatory category that captures this type of mandatory disclosure disseminated via the RNS system is often the closest fit or the general regulatory fallback. Since the content is explicitly about dealing disclosure under the Takeover Code, and the document is disseminated via RNS, I will check the definitions. DIRS is for directors/executives. This is an EPT. Given the explicit mention of RNS and the nature of the disclosure, RNS (Regulatory Filings) is a strong candidate if DIRS is too narrow. However, Form 8.5 is a specific type of insider dealing disclosure. Since 'Director's Dealing' (DIRS) is defined as 'Report of personal share transactions by company directors and executives (insider trades)', and this is an insider trade disclosure related to a takeover, DIRS is the most specific fit for the *content* type, even if the filer isn't strictly a director. If a more specific code existed for takeover dealing disclosures, that would be used. Given the provided list, DIRS captures the essence of insider transaction reporting. I will classify it as DIRS based on the content being a dealing disclosure by an insider/connected party, but acknowledge its RNS origin.
2019-08-06 English
Form 8.3 - accesso Technology Group plc
Major Shareholding Notification Classification · 98% confidence The document explicitly states it is a "FORM 8.3" which is a "PUBLIC OPENING POSITION DISCLOSURE/DEALING DISCLOSURE BY A PERSON WITH INTERESTS IN RELEVANT SECURITIES REPRESENTING 1% OR MORE" under Rule 8.3 of the Takeover Code. This type of filing relates to insider transactions or significant ownership changes during a takeover scenario. This aligns most closely with the category for Director's Dealing (DIRS) or Major Shareholding Notification (MRQ), but since it is specifically tied to the Takeover Code and reports personal dealings/positions of a significant shareholder/controller during an offer period, it is a specialized insider/shareholding disclosure. Given the provided options, 'Director's Dealing' (DIRS) is the closest fit for reporting personal share transactions by executives/insiders, although this form is broader than just directors. However, since it details interests and dealings in securities related to an offer, and there is no specific 'Takeover Disclosure' code, we must choose the best fit. Director's Dealing (DIRS) covers personal share transactions by company directors and executives. Since this is a disclosure of interests and dealings by an investment manager (Octopus Investments Limited) in relation to an offer for accesso Technology Group plc, it falls under the umbrella of insider/significant shareholder transaction reporting. If 'DIRS' is interpreted strictly as only directors, then 'MRQ' (Major Shareholding Notification) is also plausible as it reports crossing ownership thresholds (1.35% ownership disclosed). Given the context of the Takeover Code, which mandates these disclosures, and the focus on personal/controlled interests and dealings, DIRS is often used as the proxy for insider transaction reporting when a specific takeover code filing category is absent. However, the document explicitly details ownership percentage (1.35%) and dealings, which strongly suggests a major shareholding notification context, even if triggered by a takeover. Let's re-evaluate the definitions: DIRS is 'Report of personal share transactions by company directors and executives (insider trades)'. MRQ is 'Notification of changes in significant share ownership levels (crossing thresholds)'. Since the form reports a position of 1.35% and dealings, MRQ is a very strong candidate. However, Form 8.3 is fundamentally about dealing disclosure during an offer. In many classification schemes, Form 8.3 is grouped with insider trading disclosures. Given the options, DIRS is the most appropriate category for reporting personal/controlled dealings in securities, even if the filer isn't strictly a director, as it captures the 'insider trade' nature of the filing better than MRQ, which is usually for routine crossing of thresholds outside of an active M&A event. I will classify it as DIRS based on the nature of the disclosure (dealing/position disclosure related to an offer).
2019-08-05 English
Form 8.3 - Accesso Technology Group plc
Regulatory Filings Classification · 98% confidence The document is explicitly labeled as an 'RNS Number' and contains the header 'FORM 8.3 PUBLIC OPENING POSITION DISCLOSURE/DEALING DISCLOSURE BY A PERSON WITH INTERESTS IN RELEVANT SECURITIES REPRESENTING 1% OR MORE' under 'Rule 8.3 of the Takeover Code'. This structure indicates a mandatory regulatory filing related to takeover activity, specifically disclosing insider/significant shareholder positions and dealings. While it relates to a takeover (TAR), the primary function and format align with a general regulatory disclosure disseminated via RNS. Since 'Director's Dealing' (DIRS) is for personal transactions by directors, and this is a disclosure by an investment manager (Merian Global Investors) regarding an offeror/offeree, the most appropriate general category for a mandatory disclosure disseminated through the RNS system that doesn't fit a more specific category like DIRS or TAR (which is for the M&A announcement itself) is the general regulatory filing category, RNS. However, given the content is specifically about interests/dealings in securities during a takeover context, it is a specialized form of insider dealing/ownership disclosure. Comparing the options, 'DIRS' (Director's Dealing) is for executives, and 'TAR' (M&A Activity) is for the bid itself. This specific form (Form 8.3) is a mandatory disclosure under the Takeover Code regarding interests in securities during an offer. Since there is no specific code for 'Takeover Code Disclosure Form 8.3', and it is a regulatory announcement disseminated via RNS, RNS is the best fit as the fallback for specific regulatory filings not covered elsewhere. If we strictly interpret the content as an insider transaction disclosure related to a takeover, it is closest to DIRS but DIRS is usually for directors. Given the explicit RNS header and the nature of the disclosure, RNS is the safest classification.
2019-08-05 English
Form 8.3 - Accesso Technology Group Plc
Regulatory Filings Classification · 98% confidence The document is explicitly identified as a 'FORM 8.3 DEALING DISCLOSURE BY A PERSON WITH INTERESTS IN RELEVANT SECURITIES REPRESENTING 1% OR MORE' under 'Rule 8.3 of the Takeover Code'. It details transactions (purchases) and current holdings of securities related to an offeror/offeree (Accesso Technology Group PLC). This type of filing, which reports insider/significant shareholder dealings during a takeover context, is a specific type of regulatory disclosure. While it relates to director/insider activity, the specific context of 'Rule 8.3' and 'Takeover Code' points towards a specialized regulatory filing rather than the general 'Director's Dealing' (DIRS) which usually covers routine Form 3/4/5 filings under SEC rules. However, among the provided options, 'Director's Dealing' (DIRS) is the closest fit for reporting personal share transactions by executives/insiders, even though this specific form is mandated by the UK Takeover Code. Given the options, DIRS captures the essence of reporting insider transactions. If a more specific 'Takeover Disclosure' code existed, it would be preferred. Since it is a mandatory disclosure to an RNS (Regulatory Information Service), it is also a regulatory filing, but DIRS is more specific to the content type (dealing disclosure). I will classify it as DIRS as it is a dealing disclosure by an entity with a significant interest.
2019-08-05 English
Form 8.3 - Accesso Technology Group PLC
Director's Dealing Classification · 99% confidence The document is explicitly titled 'FORM 8.3 DEALING DISCLOSURE BY A PERSON WITH INTERESTS IN RELEVANT SECURITIES REPRESENTING 1% OR MORE' and references 'Rule 8.3 of the Takeover Code'. This form is used to disclose insider transactions, specifically director's dealings or major shareholder transactions during a takeover period. The content details ownership percentages, dealings (purchases/sales), and the associated company (Accesso Technology Group PLC). This directly matches the definition for Director's Dealing (DIRS). Although it is distributed via RNS, the specific content dictates the classification over the general distribution channel.
2019-08-02 English
Form 8.3 - accesso Technology Group PLC
Director's Dealing Classification · 98% confidence The document is explicitly identified as a 'FORM 8.3' which is a 'PUBLIC DEALING POSITION DISCLOSURE BY A PERSON WITH INTERESTS IN RELEVANT SECURITIES REPRESENTING 1% OR MORE' under 'Rule 8.3 of the Takeover Code'. This type of filing relates to insider transactions or significant changes in holdings during a takeover scenario. This directly corresponds to the definition of Director's Dealing (DIRS) or, more broadly, a specific regulatory disclosure related to insider activity. Since the document details personal share transactions (purchases) by a major shareholder/controller (Allianz Global Investors) in relation to an offeror/offeree (accesso Technology Group PLC), the most fitting category is 'Director's Dealing' (DIRS), which covers executive/insider transactions, even though this specific form (8.3) is broader than just directors. Given the options, DIRS is the closest fit for insider transaction reporting. If DIRS was not available, RNS would be the fallback, but DIRS captures the substance better.
2019-08-02 English

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