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Bank Millennium S.A. — Investor Relations & Filings

Ticker · MIL ISIN · PLBIG0000016 LEI · 259400OFDZ9KPZEO8K78 WAR Financial and insurance activities
Filings indexed 2,497 across all filing types
Latest filing 2024-06-19 Legal Proceedings Report
Country PL Poland
Listing WAR MIL

About Bank Millennium S.A.

https://www.bankmillennium.pl/en/

Bank Millennium S.A. is a universal bank offering a comprehensive range of financial services to individual clients, small and medium-sized enterprises (SMEs), and large corporations. The bank's product portfolio for retail customers includes current accounts, mortgage and cash loans, credit cards, and investment products. For its corporate clients, it provides services such as business financing, treasury management, and trade finance solutions. The institution operates through a multi-channel model that integrates a network of physical branches with advanced online and mobile banking platforms, emphasizing digital innovation in its service delivery.

Recent filings

Filing Released Lang Actions
Informacja o zakończeniu realizacji Planu Naprawy. - Content (PL)
Legal Proceedings Report Classification · 99% confidence The document is a short announcement (938 characters) referencing a previous current report ('raport bieżący nr 21/2022') and states that the Management Board of Bank Millennium S.A. has decided to conclude the implementation of a 'Remediation Plan' ('Planu Naprawy'), notifying the Polish Financial Supervision Authority (KNF) and the Bank Guarantee Fund (BFG). The legal basis cited is Article 17(1) of the MAR Regulation, which typically relates to the disclosure of inside information. Since this is a specific regulatory update regarding the conclusion of a formal plan (likely a regulatory requirement or restructuring), and it is a brief announcement rather than a full report, it fits best under the general 'Regulatory Filings' category (RNS) as a specific regulatory disclosure that doesn't match the other detailed categories like 10-K, ER, or IR. It is not a dividend notice, management change, or earnings release.
2024-06-19 Polish
Decyzja BFG dotycząca wymogów MREL - Content (PL)
Capital/Financing Update Classification · 99% confidence The document text is a formal notification from Bank Millennium S.A. regarding a binding decision received from the Bank Guarantee Fund (BFG) and the Single Resolution Board (SRB) concerning updated MREL (Minimum Requirement for Own Funds and a Minimum Requirement for Own Funds and Eligible Liabilities) requirements. This notification details specific regulatory obligations (MRELtrea and MRELtem percentages) and confirms compliance. This content relates directly to regulatory compliance, debt structure, and financial stability requirements imposed by supervisory bodies. Since it is a specific regulatory update concerning financial instruments and compliance, and not a general earnings release (ER), a full annual report (10-K), or a general regulatory filing (RNS), the most appropriate category is Interest Rate Update/Notice (IRAT) or potentially Regulatory Filings (RNS) if IRAT is too specific. However, MREL requirements are fundamentally tied to the structure of debt and capital, which often overlaps with financing/capital updates (CAP). Given the focus on specific regulatory mandates (MREL) from resolution authorities (SRB/BFG) that dictate capital structure requirements, and the mention of debt-related metrics, it fits best under a specific regulatory/financial notice. Since there is no explicit 'Interest Rate Update' but rather a 'Minimum Requirement' update affecting liabilities, and it is a formal regulatory communication, I will check the definitions. It is not a standard earnings release, audit report, or management discussion. It is a specific regulatory notice about compliance levels. Given the options, and the highly specific nature of the content (MREL requirements from resolution authorities), it is a regulatory announcement. If 'IRAT' is interpreted broadly to cover significant regulatory financial mandates, it could fit. However, 'RNS' is the general fallback for regulatory announcements not covered elsewhere. Since this is a specific notification about compliance with resolution requirements, which is a form of regulatory communication, and it doesn't perfectly match the other specific financial categories, RNS is a strong candidate. Let's re-evaluate. The content is about meeting minimum liability requirements (MREL), which is a regulatory mandate affecting capital structure. This is highly specific. Since there is no dedicated 'Capital Adequacy' or 'Resolution Requirement' code, and it is a formal regulatory disclosure under MAR (Market Abuse Regulation), RNS (Regulatory Filings) is the safest and most appropriate general classification for specific, non-periodic regulatory notices that don't fit the other defined categories like ER, 10-K, or DIV. The document is short and appears to be the full disclosure itself, not an announcement of a larger report.
2024-06-18 Polish
Decyzja BFG dotycząca wymogów MREL - Content (PL)
Regulatory Filings Classification · 99% confidence The document text is a formal notification from Bank Millennium S.A. regarding a binding decision received from the Bank Guarantee Fund (BFG) and the Single Resolution Board (SRB) concerning updated MREL (Minimum Requirement for Own Funds and a Minimum Requirement for Own Funds and Eligible Liabilities) requirements. This notification details specific regulatory obligations (MRELtrea and MRELtem percentages) and confirms compliance. This content relates directly to regulatory compliance, debt structure, and financial stability requirements imposed by supervisory bodies. Since it is a specific regulatory update concerning financial instruments and compliance, and not a general earnings release (ER), a full annual report (10-K), or a general regulatory filing (RNS), the most appropriate category is Interest Rate Update/Notice (IRAT) or potentially Regulatory Filings (RNS) if IRAT is too specific. However, MREL requirements are fundamentally tied to the structure of debt and capital, which often overlaps with financing/capital updates (CAP). Given the focus on specific regulatory mandates (MREL) from resolution authorities (SRB/BFG) that dictate capital structure requirements, and the mention of debt-related metrics, it fits best under a specific regulatory/financial notice. Since there is no explicit 'Interest Rate Update' but rather a 'Minimum Requirement' update affecting liabilities, and it is a formal regulatory communication, I will check the definitions. It is not a standard earnings release, audit report, or management discussion. It is a specific regulatory notice about compliance levels. Given the options, and the highly specific nature of the content (MREL requirements from resolution authorities), it is a regulatory announcement. If 'IRAT' is interpreted broadly to cover significant regulatory financial mandates, it could fit. However, 'RNS' is the general fallback for regulatory announcements not covered elsewhere. Since this is a specific notification about compliance with resolution requirements, which is a form of regulatory communication, and it doesn't perfectly match the other specific financial categories, RNS is a strong candidate. Let's re-evaluate. The content is about meeting minimum liability requirements (MREL), which is a regulatory mandate affecting capital structure. This is highly specific. Since there is no dedicated 'Capital Adequacy' or 'Resolution Requirement' code, and it is a formal regulatory disclosure under MAR (Market Abuse Regulation), RNS (Regulatory Filings) is the safest and most appropriate general classification for specific, non-periodic regulatory notices that don't fit the other defined categories like ER, 10-K, or DIV. The document is short and appears to be the full disclosure itself, not an announcement of a larger report.
2024-06-18 Polish
EN
Audit Report / Information Classification · 95% confidence The document is titled "Appendix No. 3 to the current report no. 18/2024" and details extensive amendments to the Articles of Association (§ 5 and § 6) of a Bank, specifically outlining the scope of its permitted banking activities (deposits, loans, securities, payment services, etc.). Changes to the Articles of Association, especially those detailing the core business scope, are fundamental corporate governance matters. This type of document is not a standard financial report (10-K, IR, ER) nor a simple announcement of a report (RPA). It relates directly to the company's internal rules and structure, making 'Governance Information' (CGR) the most appropriate classification, as it defines the operational framework of the entity. FY 2024
2024-05-29 English
EN
Governance Information Classification · 95% confidence The document text consists of an appendix ('Appendix No. 2 to the current report no. 18/2024') detailing amendments to the Bank's Articles of Association, specifically outlining the scope of the Bank's activities (§ 5) and confidentiality obligations (§ 6). This content relates to the fundamental corporate structure, rules, and governance of the entity, rather than periodic financial results (ER, IR, 10-K) or shareholder meeting materials (AGM-R, DEF 14A). It most closely aligns with Governance Information (CGR), which covers internal rules and board structure, as changes to the Articles of Association define the fundamental operational rules of the company.
2024-05-29 English
EN
Capital/Financing Update Classification · 95% confidence The document is titled "Appendix No. 1 to the current report no. 18/2024" and details specific, court-registered amendments to the Bank's Articles of Association, involving changes to the scope of its activities (e.g., brokerage, securities trading, leasing). This type of fundamental change to the company's governing document (Articles of Association) is a significant corporate event. It is not a standard periodic financial report (10-K, IR, ER), nor is it a management change (MANG) or a simple dividend announcement (DIV). Since it details changes to the foundational structure and scope of operations, it most closely aligns with a Capital/Financing Update (CAP) as it directly impacts the legal framework under which capital activities are conducted, or potentially a Regulatory Filing (RNS) if it's a mandatory disclosure of statutory changes. Given the detailed nature of amending the Articles of Association, which often requires shareholder or regulatory approval and relates to the scope of business operations and capital activities, CAP is a strong candidate, but RNS serves as a better general category for mandatory statutory amendments that don't fit other specific financial disclosures. However, because the changes fundamentally alter the scope of permitted business activities, which is a core component of corporate structure and financing capacity, I will classify it as a Capital/Financing Update (CAP) as it dictates what the bank is legally allowed to do with its capital and operations, or RNS as a catch-all for statutory filings. Given the context of amending Articles of Association, which is a structural change, and the lack of a specific 'Articles Amendment' code, RNS (Regulatory Filings) is the most appropriate fallback for mandatory statutory disclosures that aren't standard financial reports or insider trades. The document is a direct disclosure of a statutory change, not an announcement *about* a report.
2024-05-29 English

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