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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 2022-07-21 Regulatory Filings
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
Zmiana ratingów Banku Millennium przez agencję Moody's - Content (EN)
Regulatory Filings Classification · 100% confidence The document is titled 'Current Report no. 22/2022' and its subject is 'Change of Bank Millennium's ratings by Moody's rating agency'. It details specific rating downgrades (Long-term Bank Deposits Rating, BCA, etc.) issued by Moody's on July 20, 2022. This type of announcement, concerning external credit ratings or changes in financial standing not covered by standard periodic reports (10-K, IR, ER), falls best under the general category for regulatory announcements or miscellaneous filings that impact investor perception. Since there is no specific code for 'Rating Change Announcement', the most appropriate fallback category is 'Regulatory Filings' (RNS), as this is a formal disclosure required under regulations like MAR (mentioned at the end). The document is short and is an announcement, not the full rating report itself.
2022-07-21 English
Zmiana ratingów Banku Millennium przez agencję Moody's - Content (PL)
Capital/Financing Update Classification · 99% confidence The document is a formal announcement from the Management Board of Bank Millennium S.A. regarding a rating downgrade by Moody's Investors Service. It details the specific changes to long-term and short-term ratings (e.g., Baa3 from Baa1) and mentions the legal basis is Article 17(1) of MAR (Market Abuse Regulation), which mandates timely public disclosure of inside information. This type of announcement, concerning credit ratings and regulatory capital implications, is a specific type of regulatory disclosure. It is not a full Annual Report (10-K), an Earnings Release (ER), or a general Investor Presentation (IP). Since it is a specific regulatory disclosure about financial standing/risk assessment that doesn't fit perfectly into the other specific categories like DIV, CAP, or LTR, it falls best under the general 'Regulatory Filings' (RNS) category, as it is a mandatory market disclosure under MAR.
2022-07-21 Polish
Informacja o spodziewanym negatywnym wpływie wakacji kredytowych na wyniki Grupy Kapitałowej Banku Millennium S.A. w III kw. 2022 r. oraz o uruchomieniu Planu Naprawy. - Content (EN)
Capital/Financing Update Classification · 99% confidence The document is titled "Current Report No. 21/2022" and discusses the expected negative impact of new legislation ('Act of 7 July 2022 on crowdfunding for business ventures and assistance to borrowers') on the 3rd quarter 2022 results and the subsequent decision to launch a Recovery Plan, notifying the PFSA and Bank Guarantee Fund. This is a specific, material announcement regarding financial outlook and regulatory compliance/action, but it is not a full financial report (10-K or IR), an earnings release (ER) which usually contains final figures, or a management discussion (MDA) of past results. It is a specific regulatory disclosure concerning potential capital breaches and the initiation of a recovery plan. Given the options, this type of specific, material, non-standard disclosure that impacts capital structure and regulatory standing fits best under the general 'Regulatory Filings' category (RNS), as it is a 'Current Report' based on MAR requirements, which often fall into this catch-all for specific regulatory disclosures not covered by other detailed codes like DIV, CAP, or ER.
2022-07-18 English
Informacja o spodziewanym negatywnym wpływie wakacji kredytowych na wyniki Grupy Kapitałowej Banku Millennium S.A. w III kw. 2022 r. oraz o uruchomieniu Planu Naprawy. - Content (PL)
Regulatory Filings Classification · 95% confidence The document is a formal announcement by the Management Board of Bank Millennium S.A. regarding the financial impact of a new Polish law concerning mortgage holidays ('wakacje kredytowe'). It details the estimated financial cost (1,779 million PLN), the expected negative net result for Q3 2022, and the potential breach of capital adequacy ratios set by the KNF (Polish Financial Supervision Authority). Crucially, it states that the Board decided to launch a Recovery Plan ('Plan Naprawy') and notified the KNF and the Bank Guarantee Fund. This content relates to significant regulatory/financial risk management and capital structure implications, but it is not a full annual report (10-K), an interim report (IR), or a standard earnings release (ER). It is a specific regulatory disclosure concerning capital adequacy and recovery planning triggered by external legislation. Given the options, this disclosure about regulatory compliance, capital ratios, and launching a recovery plan fits best under a general regulatory announcement or a specific financial/capital update. Since it discusses the potential breach of capital requirements and the launch of a Recovery Plan, it is a significant regulatory event disclosure. It is not a standard financing activity (CAP) or a general regulatory filing (RNS). It is most closely aligned with a significant financial/regulatory event disclosure. Given the context of capital adequacy and regulatory intervention (KNF), it is a material event disclosure. Since there isn't a specific code for 'Capital Adequacy Warning/Recovery Plan Launch', the closest fit for a material, non-standard financial/regulatory event that impacts capital structure and requires regulatory notification is often grouped under general regulatory announcements or specific capital updates. However, the core of the message is the immediate financial impact and the regulatory response (launching the Recovery Plan). This is a material event disclosure. Based on the provided definitions, 'CAP' (Capital/Financing Update) is plausible due to the capital ratio discussion, but 'RNS' (Regulatory Filings - fallback) is safer if the event doesn't fit perfectly. Since it directly addresses capital ratios falling below minimum requirements and the subsequent regulatory action (launching a Recovery Plan), it is a critical capital structure event. I will classify it as a Capital/Financing Update (CAP) as the primary impact discussed is on capital adequacy ratios, or RNS as a material regulatory disclosure. Given the focus on capital ratios and the Recovery Plan launch, CAP seems slightly more specific than the general RNS fallback, although RNS is also a strong candidate for material disclosures under MAR (Art. 17). I will lean towards RNS as it is a mandatory disclosure under MAR (Art. 17) regarding a material event that affects capital ratios, which is a broad regulatory filing category when specific ones like 10-K or IR don't apply. The document length is short (2318 chars) and it is a direct announcement of an event, not a detailed report.
2022-07-18 Polish
Informacja o spodziewanym negatywnym wpływie wakacji kredytowych na wyniki Grupy Kapitałowej Banku Millennium S.A. w III kw. 2022 r. oraz o uruchomieniu Planu Naprawy. - Content (EN)
Legal Proceedings Report Classification · 99% confidence The document is titled "Current Report No. 21/2022" and discusses the expected negative impact of new legislation ('Act of 7 July 2022 on crowdfunding for business ventures and assistance to borrowers') on the 3rd quarter 2022 results and the subsequent decision to launch a Recovery Plan, notifying the PFSA and Bank Guarantee Fund. This is a specific, material announcement regarding financial outlook and regulatory compliance/action, but it is not a full financial report (10-K or IR), an earnings release (ER) which usually contains final figures, or a management discussion (MDA) of past results. It is a specific regulatory disclosure concerning potential capital breaches and the initiation of a recovery plan. Given the options, this type of specific, material, non-standard disclosure that impacts capital structure and regulatory standing fits best under the general 'Regulatory Filings' category (RNS), as it is a 'Current Report' based on MAR requirements, which often fall into this catch-all for specific regulatory disclosures not covered by other detailed codes like DIV, CAP, or ER.
2022-07-18 English
Informacja o spodziewanym negatywnym wpływie wakacji kredytowych na wyniki Grupy Kapitałowej Banku Millennium S.A. w III kw. 2022 r. oraz o uruchomieniu Planu Naprawy. - Content (PL)
Regulatory Filings Classification · 95% confidence The document is a formal announcement by the Management Board of Bank Millennium S.A. regarding the financial impact of a new Polish law concerning mortgage holidays ('wakacje kredytowe'). It details the estimated financial cost (1,779 million PLN), the expected negative net result for Q3 2022, and the potential breach of capital adequacy ratios set by the KNF (Polish Financial Supervision Authority). Crucially, it states that the Board decided to launch a Recovery Plan ('Plan Naprawy') and notified the KNF and the Bank Guarantee Fund. This content relates to significant regulatory/financial risk management and capital structure implications, but it is not a full annual report (10-K), an interim report (IR), or a standard earnings release (ER). It is a specific regulatory disclosure concerning capital adequacy and recovery planning triggered by external legislation. Given the options, this disclosure about regulatory compliance, capital ratios, and launching a recovery plan fits best under a general regulatory announcement or a specific financial/capital update. Since it discusses the potential breach of capital requirements and the launch of a Recovery Plan, it is a significant regulatory event disclosure. It is not a standard financing activity (CAP) or a general regulatory filing (RNS). It is most closely aligned with a significant financial/regulatory event disclosure. Given the context of capital adequacy and regulatory intervention (KNF), it is a material event disclosure. Since there isn't a specific code for 'Capital Adequacy Warning/Recovery Plan Launch', the closest fit for a material, non-standard financial/regulatory event that impacts capital structure and requires regulatory notification is often grouped under general regulatory announcements or specific capital updates. However, the core of the message is the immediate financial impact and the regulatory response (launching the Recovery Plan). This is a material event disclosure. Based on the provided definitions, 'CAP' (Capital/Financing Update) is plausible due to the capital ratio discussion, but 'RNS' (Regulatory Filings - fallback) is safer if the event doesn't fit perfectly. Since it directly addresses capital ratios falling below minimum requirements and the subsequent regulatory action (launching a Recovery Plan), it is a critical capital structure event. I will classify it as a Capital/Financing Update (CAP) as the primary impact discussed is on capital adequacy ratios, or RNS as a material regulatory disclosure. Given the focus on capital ratios and the Recovery Plan launch, CAP seems slightly more specific than the general RNS fallback, although RNS is also a strong candidate for material disclosures under MAR (Art. 17). I will lean towards RNS as it is a mandatory disclosure under MAR (Art. 17) regarding a material event that affects capital ratios, which is a broad regulatory filing category when specific ones like 10-K or IR don't apply. The document length is short (2318 chars) and it is a direct announcement of an event, not a detailed report.
2022-07-18 Polish

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