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Dadelo S.A. — Investor Relations & Filings

Ticker · DAD ISIN · PLDADEL00013 LEI · 259400Y74EQ3N0EVIA73 WAR Wholesale and retail trade
Filings indexed 360 across all filing types
Latest filing 2025-04-01 Earnings Release
Country PL Poland
Listing WAR DAD

About Dadelo S.A.

https://www.dadelo.pl/

Dadelo S.A. is a company specializing in the retail of bicycles, bicycle parts, and accessories. It operates primarily through its e-commerce platform, CentrumRowerowe.pl, offering a diverse product range that includes various types of bicycles, such as trekking and electric models, as well as cycling apparel and footwear. The company is expanding its business model to include physical retail stores, adopting an omnichannel strategy. Dadelo S.A. is a member of the Oponeo.pl Capital Group, leveraging the group's extensive experience in the e-commerce sector.

Recent filings

Filing Released Lang Actions
Przychody ze sprzedaży netto Spółki osiągnięte w I kwartale 2025 roku - Content (PL)
Earnings Release Classification · 1% confidence The document text is very short (474 characters) and presents preliminary key financial figures (net revenue for Q1 2025 vs Q1 2024) along with brief business commentary explaining the growth drivers. This structure—presenting key highlights immediately following the reporting period—is characteristic of an Earnings Release (ER). It is not a comprehensive report (like 10-K or IR) nor is it merely an announcement that a report is available (RPA/RNS). The content focuses strictly on the initial announcement of periodical financial results. Q1 2025
2025-04-01 Polish
zal01_Zawiadomienie_-_19_MAR.pdf
Director's Dealing Classification · 1% 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). It details a transaction (Nabycie - Acquisition) of shares (akcje) by a person discharging managerial responsibilities (Prezes - CEO/President), Ryszard Zawieruszyński. Article 19 of the Market Abuse Regulation (MAR) mandates reporting of insider transactions by management personnel. This specific type of filing, reporting personal share transactions by directors and executives, directly corresponds to the definition of 'Director's Dealing' (Code: DIRS). The document is a formal notification of an insider trade, not a general regulatory filing (RNS) or a report on remuneration (DEF 14A).
2025-03-19 Polish
Director's Dealing 2025
Director's Dealing Classification · 1% 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). It details a transaction (Nabycie - Acquisition) of shares (akcje) by a person discharging managerial responsibilities (Prezes - CEO/President), Ryszard Zawieruszyński. Article 19 of the Market Abuse Regulation (MAR) mandates reporting of insider transactions by management personnel. This specific type of filing, reporting personal share transactions by directors and executives, directly corresponds to the definition of 'Director's Dealing' (Code: DIRS). The document is a formal notification of an insider trade, not a general regulatory filing (RNS) or a report on remuneration (DEF 14A).
2025-03-19 Polish
Informacja o transakcjach uzyskana w trybie art. 19 MAR - Content (PL)
Director's Dealing Classification · 1% confidence The document text is very short (303 characters) and explicitly states that the Issuer ("Emitent") received a notification under Article 19(1) of the MAR Regulation concerning transactions in the Issuer's shares made by a person discharging managerial responsibilities. It further states that the content of the notification is provided in the attachment to this report ("Emitent przekazuje w załączeniu niniejszego raportu"). According to the 'MENU VS MEAL' rule, a short announcement referring to an attachment or published content should be classified as a Report Publication Announcement (RPA) or Regulatory Filing (RNS). Since this is a specific regulatory notification (MAR Article 19), it strongly relates to insider trading/director dealings. The most specific category for reporting personal share transactions by directors/executives is 'Director's Dealing' (DIRS). However, since the text itself is only announcing the receipt and attachment of the MAR 19 notification, and not the full details of the transaction, it functions as a publication announcement. Given the specific nature of the content (MAR Art. 19 transaction notification), DIRS is the subject matter, but the format is an announcement. Since DIRS is for the report of the transaction itself, and this is an announcement of receiving and attaching that report, RPA or RNS might apply. However, in many regulatory contexts, the initial filing of a MAR 19 notification is often categorized by its subject matter. Let's re-evaluate the definitions. DIRS is 'Report of personal share transactions by company directors and executives (insider trades)'. This document is the announcement *of* that report. Given the brevity and the reference to an attachment, RPA is plausible. But if the attached document *is* the MAR 19 filing, then DIRS is the correct subject. Since the text is clearly announcing the publication/attachment of a specific type of insider transaction report, and DIRS is the category for that report, I will lean towards the subject matter (DIRS) unless the document is purely boilerplate about *when* a report will be released. Because it contains the core information that a MAR 19 notification was received and is attached, it functions as the primary disclosure mechanism for that event. If the system expects the actual MAR 19 content to be classified as DIRS, this announcement serves as the immediate public filing. Given the options, DIRS is the most specific fit for the *topic* (Director's Dealing), even if the format is an announcement wrapper. If DIRS is strictly for the content of the MAR 19 form itself, then RPA/RNS would be the fallback. Given the high specificity of DIRS, I classify it as DIRS, assuming the attached content is the required MAR 19 disclosure.
2025-03-19 Polish
Informacja o transakcjach uzyskana w trybie art. 19 MAR
Director's Dealing Classification · 1% confidence The document text is very short (285 characters) and states that the Management Board ('Zarząd') received a notification under Article 19(1) of the MAR Regulation ('Rozporządzenia MAR') regarding transactions made on the Issuer's shares by a person discharging managerial responsibilities ('osoby zarządzającej'). It explicitly mentions that the content of the notification is provided in the attachment to the report ('Emitent przekazuje w załączeniu niniejszego raportu'). This structure—a brief announcement referencing an attached document detailing insider transactions—strongly suggests a Director's Dealing report (insider trade notification). The specific reference to MAR Article 19 confirms this is an insider transaction disclosure, which maps directly to the 'Director's Dealing' category (DIRS). Although the actual details are attached, the primary document serves as the official notification of the transaction, making DIRS more specific than the general RPA or RNS fallback.
2025-03-19 Polish
Oświadczenie RN - dot. firmy audytorskiej
Audit Report / Information Classification · 1% confidence The document is titled "OŚWIADCZENIE RADY NADZORCZEJ DADELO S.A. Dotyczące Firmy Audytorskiej" (Statement of the Supervisory Board of Dadelo S.A. Concerning the Audit Firm). It explicitly discusses the selection, compliance, independence, and policies related to the audit firm responsible for examining the financial statements for the year 2024. This content directly relates to the audit process and the resulting report's integrity, aligning perfectly with the definition of an Audit Report / Information (AR), which covers standalone audit reports and applied accounting principles, even though this specific document is a statement *about* the auditor rather than the audit report itself. Given the options, AR is the most appropriate fit for documentation concerning the audit function and compliance. FY 2024
2025-03-18 Polish

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