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Decora S.A. — Investor Relations & Filings

Ticker · DCR ISIN · PLDECOR00013 LEI · 2594002F8HC0D6K6JI94 WAR Manufacturing
Filings indexed 882 across all filing types
Latest filing 2025-02-14 Director's Dealing
Country PL Poland
Listing WAR DCR

About Decora S.A.

https://decora.pl/en/

Decora S.A. is a manufacturer specializing in interior decoration and finishing products. The company is a leading European producer of flooring solutions, with a product portfolio that includes advanced flooring systems, such as vinyl flooring, and a comprehensive range of accessories like underlays, skirting boards, and floor profiles. Recognized as a 'FLOOR EXPERT,' Decora S.A. focuses on developing technologically advanced and high-quality products through its dedicated research and development efforts. The company is a major producer of floor underlays in Europe.

Recent filings

Filing Released Lang Actions
Informacja o transakcji otrzymana w trybie art. 19 MAR.
Director's Dealing Classification · 1% confidence The document text is very short (544 characters) and explicitly states that the Management Board received a notification concerning Article 19(1) of Regulation (EU) No 596/2014 (MAR - Market Abuse Regulation) from a member of the Management Board (Artur Hibner). Article 19 of MAR mandates reporting of transactions conducted by persons discharging managerial responsibilities (PDMRs). This type of transaction report by a director/executive is specifically covered by the 'Director's Dealing' category (DIRS). Although the text mentions the content is attached, the core subject matter is a PDMR transaction notification, making DIRS the most specific fit over a general RPA or RNS.
2025-02-14 Polish
Terminy przekazywania raportów okresowych w 2025 r. - Content (PL)
Report Publication Announcement Classification · 1% confidence The document text is in Polish and explicitly states that the Management Board of Decora S.A. is announcing the schedule ('terminy przekazywania') for submitting periodic reports ('raportów okresowych') for the year 2025, including the annual report for 2024. This is an announcement about the timing of future regulatory filings, not the filings themselves. Since it is an announcement regarding the publication schedule of various reports (Annual, Quarterly, Semi-annual), it fits best under the category for announcing report publication, which is Report Publication Announcement (RPA). The document is short (1887 chars) and serves as a notice, aligning with the 'MENU VS MEAL' rule.
2025-01-24 Polish
GK_DECORA_SSF_2024_09_30_PL
Interim / Quarterly Report Classification · 1% confidence The document is titled 'Skrócone śródroczne skonsolidowane sprawozdanie finansowe' (Condensed interim consolidated financial statements) for the third quarter of 2024. It contains detailed financial tables, notes, and management disclosures, which confirms it is a comprehensive interim financial report rather than a mere announcement or summary. Therefore, it is classified as an Interim / Quarterly Report (IR). Q3 2024
2024-11-15 Polish
Informacja o szacunkach wyników za trzy kwartały 2024 roku. - Content (PL)
Earnings Release Classification · 1% confidence The document text explicitly states that the Management Board ('Zarząd') is releasing 'wstępne skonsolidowane wyniki finansowe Grupy Kapitałowej DECORA S.A za trzy kwartały 2024 roku' (preliminary consolidated financial results for the first three quarters of 2024). It provides key figures like Revenue, EBITDA, and Net Profit, comparing them to the previous year. Crucially, it mentions that these are estimates and that the final results will be published later in the 'skróconym skonsolidowanym raporcie okresowym za trzy kwartały 2024 roku' (abbreviated consolidated periodic report for the first three quarters of 2024). Since this is a preliminary announcement of periodic financial results, it aligns best with the Earnings Release (ER) definition, which covers initial announcements of periodical financial results (key highlights only). Although it covers three quarters (suggesting an Interim Report, IR), the nature of it being a 'preliminary' release of highlights strongly favors ER over the comprehensive IR. 9M 2024
2024-11-04 Polish
pdf_765951
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 a transaction/transactions referred to in Article 19(1) of the MAR Regulation). Article 19 of the Market Abuse Regulation (MAR) specifically deals with transactions conducted by persons discharging managerial responsibilities (PDMRs) and persons closely associated with them. The content details the name of the related party, the issuer (DECORA SPÓŁKA AKCYJNA), the type of transaction ('Nabycie' - Acquisition), price, volume, and date. This structure is characteristic of mandatory insider trading disclosures concerning directors' or executives' personal share dealings. This directly corresponds to the definition for Director's Dealing (DIRS).
2024-10-14 Polish
Informacja o transakcji otrzymana w trybie art. 19 MAR. - Content (PL)
Major Shareholding Notification Classification · 1% confidence The document text is very short (623 characters) and explicitly states that the content of the notification (which concerns Article 19 of Regulation (EU) No 596/2014 regarding market abuse, often related to insider transactions) is provided 'w załączeniu' (in the attachment). This structure—a brief announcement stating that the detailed information is attached or enclosed—strongly suggests this is an announcement about the publication of information rather than the full report itself. Article 19 notifications relate to transactions by persons discharging managerial responsibilities (PDMRs) or closely associated persons. This aligns best with Director's Dealing (DIRS). However, given the 'MENU VS MEAL' rule, since this is just the announcement wrapper and the actual transaction details are in an attachment, it should be classified as a Report Publication Announcement (RPA) or potentially a Regulatory Filing (RNS) if RPA is too specific. Since the content relates to insider transactions (Director's Dealing), and it's a short announcement wrapper, RPA is the most appropriate classification for the wrapper itself, as per Rule 2. If the content were the full transaction details, DIRS would be used. Given the context of regulatory filings, RNS is also a strong candidate for general regulatory announcements that don't fit perfectly, but RPA specifically covers the announcement of a report/document release. Since the document is a notification about receiving and forwarding a notification (which is attached), RPA fits the wrapper nature best.
2024-10-14 Polish

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