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Unipolsai — Investor Relations & Filings

Ticker · UNPL ISIN · IT0004827447 LEI · 815600E31C4E7006AB54 XMIL Financial and insurance activities
Filings indexed 1,202 across all filing types
Latest filing 2019-05-09 Director's Dealing
Country IT Italy
Listing XMIL UNPL

UnipolSai Assicurazioni S.p.A. is a major financial services company and the insurance arm of the Unipol Group. The company provides a comprehensive range of insurance products and services, operating across both the Non-Life and Life sectors. It holds a leading market position in the Non-Life business, with a particular specialization in Motor Vehicle Third-Party Liability (TPL) and Health insurance. UnipolSai serves a broad customer base, including individuals, households, and businesses, by offering tailored protection and financial solutions.

Recent filings

Filing Released Lang Actions
Comunicazione ai sensi dell’Allegato 3F del Regolamento Emittenti
Director's Dealing Classification · 99% confidence The document is a formal disclosure titled "SCHEMA DI COMUNICAZIONE DELLE OPERAZIONI SUI TITOLI DELL'EMITTENTE" (Disclosure Model for Transactions in the Issuer's Securities) from UNIPOLSAI, dated May 9, 2019. It details specific transactions involving the company's shares executed by an affiliated party (LEITHA' S.r.l.) on April 25, 2019. This structure—detailing transactions in the issuer's own shares (or related instruments) by insiders or related entities—is characteristic of regulatory filings concerning share dealings or treasury stock movements. Since the document explicitly details transactions in the issuer's securities, it aligns most closely with the category for reporting personal share transactions by directors/executives (DIRS) or transactions in own shares (POS). Given the context of 'Azioni assegnate ai Dirigenti' (Shares assigned to Executives) and the detailed transaction breakdown, it strongly suggests insider/executive activity related to compensation or holdings. However, the specific focus on the company buying/selling its own shares (treasury stock) points towards POS (Transaction in Own Shares), although DIRS (Director's Dealing) is also plausible if the executive assignment is the primary driver. Since the transaction involves an entity related to executive compensation plans, and the structure is a formal regulatory disclosure of security transactions, POS (Transaction in Own Shares) is the most precise fit for reporting the actual movement of shares, especially when Section 3 discusses the 'PROGRAMME FOR THE PURCHASE AND SALE OF TREASURY SHARES'.
2019-05-09 Italian
Comunicazione ai sensi dell’Allegato 3F del Regolamento Emittenti
Director's Dealing Classification · 99% confidence The document is a formal disclosure titled "SCHEMA DI COMUNICAZIONE DELLE OPERAZIONI SUI TITOLI DELL'EMITTENTE" (Model Disclosure for Transactions in the Issuer's Securities) from UNIPOLSAI, dated May 9, 2019. Section 2 details specific transactions involving the issuer's shares (Acquisto/Vendita - Purchase/Sale) by a related party (GRUPPO UNA S.p.A.). This structure, detailing transactions in the issuer's own shares, directly corresponds to the definition of a Transaction in Own Shares report, which is classified as 'POS' (Transaction in Own Shares). Although it involves insider-like activity (management compensation plans mentioned in the header), the core content is the transaction reporting itself, fitting POS better than DIRS (Director's Dealing) or CAP (Capital/Financing Update).
2019-05-09 Italian
Comunicazione ai sensi dell’Allegato 3F del Regolamento Emittenti
Director's Dealing Classification · 99% confidence The document is a formal disclosure titled "SCHEMA DI COMUNICAZIONE DELLE OPERAZIONI SUI TITOLI DELL'EMITTENTE" (Disclosure Model for Transactions in the Issuer's Securities) dated May 9, 2019. It details specific transactions (purchases/sales) involving the issuer's shares (UNIPOLSAI) by a related party (Arca Vita S.p.A.). This structure, focusing on transactions by directors/executives or related parties concerning the company's own shares, strongly aligns with insider trading reports or transactions in own shares. Given the specific focus on transactions involving the issuer's securities, the most appropriate category is 'Transaction in Own Shares' (POS), which covers share repurchase/issuance activities, often including related party transactions disclosed in this format. It is not a general earnings release (ER), a full annual report (10-K), or a general regulatory filing (RNS), as it is highly specific to share transactions.
2019-05-09 Italian
Comunicazione ai sensi dell’Allegato 3F del Regolamento Emittenti
Remuneration Information Classification · 99% confidence The document is a formal communication in Italian, identified by the header "Informazione Regolamentata n. 0230-55-2019" and the date 09 Maggio 2019. The subject is "Regolamento Emittenti" (Issuer Regulation) and the content details "SCHEMA DI COMUNICAZIONE DELLE OPERAZIONI SUI TITOLI DELL'EMITTENTE" (Disclosure Scheme for Transactions in the Issuer's Securities). Specifically, Section 2 details transactions involving the issuer's shares (UNIPOLSAI) by a related party (Alfaevolution Technology S.p.A.). This structure strongly indicates a mandatory disclosure regarding insider transactions or transactions in own shares, often related to executive compensation plans or share buybacks/sales. Given the detailed breakdown of transactions (date, type, quantity, price) concerning the issuer's securities, this aligns best with the category for reporting personal share transactions by directors/executives (DIRS) or transactions in own shares (POS). Since the transaction involves an entity related to management/directors executing compensation plans ('Azioni assegnate ai Dirigenti del Gruppo Unipol in esecuzione dei Piani di compensi'), and it is a formal regulatory disclosure of security transactions, 'DIRS' (Director's Dealing) is the most precise fit, although 'POS' (Transaction in Own Shares) is also relevant if the entity was the company itself. However, the context points to transactions by executives/related parties, making DIRS highly probable for this type of mandatory disclosure form.
2019-05-09 Italian
Comunicazione inviata ai sensi dell’art. 19 del Regolamento (UE) n. 596/2014 del Parlamento Europeo e del Consiglio del 16 aprile 2014 (MAR).
Director's Dealing Classification · 99% confidence The document text contains metadata indicating it is an 'Informazione Regolamentata' (Regulated Information) dated May 2, 2019, concerning the company UNIPOLSAI. The subject line mentions 'Comunicazione inviata ai sensi dell'art. 19 Parlamento Europeo e del Consiglio del 16 aprile 2014 (MAR)' (Communication sent pursuant to Article 19 of the European Parliament and Council Regulation No 596/2014 (MAR)). The main body includes a template titled 'Template for notification and public disclosure of transactions by persons discharging managerial responsibilities and persons closely associated with them.' Furthermore, section 2 explicitly details the 'Reason for the notification' and names an individual (Adriano Turrini) holding a managerial position ('Consigliere di Amministrazione' - Board Member) and reports on their transactions. This structure perfectly matches the definition of Director's Dealing (insider trades) reports required under MAR Article 19. Therefore, the classification is DIRS.
2019-05-02 Italian
UnipolSai: sale of compensation plan shares
Share Issue/Capital Change Classification · 99% confidence The document is a short regulatory announcement from UnipolSai dated April 30, 2019. The subject is the 'sale of compensation plan shares' to cover tax charges related to performance shares allocated to management. The key phrase is 'Vedi allegato' (See attachment) and the document itself is very brief, detailing a transaction involving the sale of 1,893,965 ordinary Unipolsai shares. This describes a transaction where the company or its insiders are dealing in its own shares, specifically related to compensation plans. This aligns best with the 'Transaction in Own Shares' (POS) category, as it details the sale of shares previously allocated to management. While it involves management, the core action is the transaction/sale of shares, making POS more specific than MANG or DIRS (which usually refers to director's personal trades, not compensation plan execution sales). Given the nature of the transaction (sale of allocated shares), POS is the most appropriate fit.
2019-04-30 English

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