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CDRL S.A. — Investor Relations & Filings

Ticker · CDL ISIN · PLCDRL000043 LEI · 259400CRCVQC1ID7RA06 WAR Manufacturing
Filings indexed 774 across all filing types
Latest filing 2021-08-17 Director's Dealing
Country PL Poland
Listing WAR CDL

About CDRL S.A.

https://cdrl.pl/en/

CDRL S.A. is a company specializing in the design, manufacture, and distribution of clothing and accessories for infants, children, and teenagers. The company operates a multi-brand portfolio, with its flagship brand being Coccodrillo, which has a global retail presence of over 500 stores. Other brands in the group include Lemon Explore, Broel, Petit Bijou, Mokida, and Buslik. The product offering extends beyond apparel to include footwear, toys, and other children's products. CDRL utilizes a multi-channel sales strategy, combining its extensive network of physical stores with a robust e-commerce platform. The company is also a strategic partner of the Fikołki chain of children's playrooms.

Recent filings

Filing Released Lang Actions
Informacja o transakcjach od osoby blisko związanej z osobą pełniącej obowiązki zarządcze, otrzymana w trybie art. 19 ust. 1 MAR - zmiana - Content (PL)
Director's Dealing Classification · 100% confidence The document text is very short (512 characters) and explicitly states that the content of the notification (regarding transactions on the Issuer's shares based on MAR Regulation, Article 19) is located in the attachment to the current report ('Treść powiadomienia znajduje się w załączniku do raportu bieżącego.'). This structure—announcing that detailed information is attached or available elsewhere—strongly suggests this is an announcement about the publication of information rather than the detailed report itself. The subject matter concerns transactions by a person closely associated with a management function ('osobą pełniącą obowiązki zarządcze') and is related to insider trading/director dealings (MAR Article 19). While 'DIRS' (Director's Dealing) is relevant to the content, the format (short announcement pointing to an attachment) aligns best with 'RPA' (Report Publication Announcement) or 'RNS' (Regulatory Filings). Given that MAR Article 19 notifications are standard regulatory disclosures, and RPA is used when the core document is attached, RPA is the most precise fit for this announcement format, although RNS is a strong secondary candidate if RPA is reserved only for specific report types. Since this is a specific regulatory notification being announced, and it's not a general 'RNS', I will classify it as RPA based on the 'MENU VS MEAL' rule, as it announces the availability of the actual filing content.
2021-08-17 Polish
Nabycie obligacji własnych Emitenta w celu umorzenia - Content (PL)
Transaction in Own Shares Classification · 98% confidence The document text, written in Polish, explicitly states that the Management Board (Zarząd) of CDRL S.A. executed a transaction to acquire 300 units of its own bonds (obligacji własnych serii B) for the purpose of cancellation (w celu umorzenia). This action involves the company repurchasing its own debt instruments. This directly corresponds to the definition of 'Transaction in Own Shares' (although it refers to bonds, the intent is a transaction involving the company's own capital instruments for retirement/cancellation), which maps best to the 'Transaction in Own Shares' category (POS), which covers share repurchases/issuance. Given the context of buying back own bonds for cancellation, POS is the most appropriate fit among the provided options.
2021-07-29 Polish
Powiadomienie o transakcjach
Director's Dealing Classification · 100% confidence The document is titled "Powiadomienie o transakcji/transakcjach*, o którym mowa w art. 19 ust. 1 rozporządzenia MAR" (Notification of transaction(s) referred to in Article 19(1) of the MAR Regulation). This regulation (Market Abuse Regulation) mandates disclosures for transactions conducted by persons discharging managerial responsibilities (PDMRs) and persons closely associated with them. The content details a 'Nabycie' (Acquisition) of 'akcje' (shares) by an entity closely associated with a board member ('Eryk Karski - Członek Rady Nadzorczej Emitenta'). This directly corresponds to the definition of Director's Dealing (insider trades by executives/directors). Therefore, the appropriate classification is DIRS.
2021-07-22 Polish
Informacja o transakcji od osoby blisko związanej z osobą pełniącej obowiązki zarządcze, otrzymana w trybie art. 19 ust. 1 MAR - Content (PL)
Director's Dealing Classification · 100% confidence The document text is very short (485 characters) and explicitly states that the content of the notification (a transaction on the Issuer's shares based on MAR Article 19) is contained in the attachment to the current report ('Treść powiadomienia znajduje się w załączniku do raportu bieżącego'). This structure—a brief announcement pointing to an attachment—fits the definition of a Report Publication Announcement (RPA) or a general Regulatory Filing (RNS). Since the core subject is an insider transaction notification (Director's Dealing/MAR 19), the most specific category is DIRS (Director's Dealing). However, the text itself is an announcement *about* the filing, not the filing content itself, which suggests RPA or RNS. Given that MAR Article 19 notifications are highly specific insider transaction reports, and the document is merely announcing the receipt and attachment of that report, it is best classified as a Regulatory Filing (RNS) as it is a general regulatory announcement, or potentially DIRS if the system prioritizes the subject matter over the announcement format. Since the text explicitly states the content is in an attachment, RPA is a strong candidate, but RNS is the safest fallback for regulatory announcements not fitting other specific formats. Let's re-evaluate based on the definitions. DIRS is for the report of the transaction itself. This is an announcement that the report was received. This aligns best with RNS (General regulatory announcements) or RPA (Report Publication Announcement). Given the context of MAR filings, RNS is often used for these types of mandatory disclosures when a more specific code isn't available for the *announcement* itself. Since DIRS is for the actual transaction report, and this is an announcement of receiving that report, RNS is the most appropriate general regulatory classification here, adhering to the 'Menu vs Meal' rule by classifying the announcement rather than the underlying report.
2021-07-22 Polish
Powiadomienie o transakcjach
Director's Dealing Classification · 100% confidence The document is titled "Powiadomienie o transakcji/transakcjach*, o którym mowa w art. 19 ust. 1 rozporządzenia MAR" (Notification of a transaction/transactions referred to in Article 19(1) of the MAR Regulation). It details a transaction involving shares ('Akcje') by a person closely associated with a management body member ('Eryk Karski - Członek Rady Nadzorczej Emitenta'). This structure—reporting personal share transactions by directors/executives under MAR Article 19—directly corresponds to the definition of Director's Dealing (insider trades).
2021-07-21 Polish
Informacja o transakcji od osoby blisko związanej z osobą pełniącej obowiązki zarządcze, otrzymana w trybie art. 19 ust. 1 MAR - Content (PL)
Director's Dealing Classification · 100% confidence The document text is very short (485 characters) and explicitly states that the content of the notification (a transaction on the Issuer's shares based on MAR Article 19) is contained in the attachment to the current report ('Treść powiadomienia znajduje się w załączniku do raportu bieżącego'). This structure—a brief announcement pointing to an attachment—fits the definition of a Report Publication Announcement (RPA) or a general Regulatory Filing (RNS). Since the core subject is an insider transaction notification (Director's Dealing/MAR 19), the most specific category is DIRS (Director's Dealing). However, the text itself is an announcement *about* the filing, not the filing content itself, which suggests RPA or RNS. Given that MAR Article 19 notifications are highly specific insider transaction reports, and the document is merely announcing the receipt and attachment of that report, it is best classified as a Regulatory Filing (RNS) as it is a general regulatory announcement, or potentially DIRS if the system prioritizes the subject matter over the announcement format. Since the text explicitly states the content is in an attachment, RPA is a strong candidate, but RNS is the safest fallback for regulatory announcements not fitting other specific formats. Let's re-evaluate based on the definitions. DIRS is for the report of the transaction itself. This is an announcement that the report was received. This aligns best with RNS (General regulatory announcements) or RPA (Report Publication Announcement). Given the context of MAR filings, RNS is often used for these types of mandatory disclosures when a more specific code isn't available for the *announcement* itself. Since DIRS is for the actual transaction report, and this is an announcement of receiving that report, RNS is the most appropriate general regulatory classification here, adhering to the 'Menu vs Meal' rule by classifying the announcement rather than the underlying report.
2021-07-21 Polish

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