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Wallix Group — Investor Relations & Filings

Ticker · ALLIX ISIN · FR0010131409 LEI · 969500Y014KR9K8QM551 PA Telecommunications, computer programming, consultancy, computing infrastructure, and other information service activities
Filings indexed 447 across all filing types
Latest filing 2017-02-13 Share Issue/Capital Cha…
Country FR France
Listing PA ALLIX

About Wallix Group

https://www.wallix.com/

Wallix Group is a cybersecurity software developer specializing in Identity and Access Security. The company's core offering is a unified platform for Privileged Access Management (PAM) and Identity and Access Management (IAM), designed to protect critical assets in both IT and Operational Technology (OT) environments. The platform provides comprehensive capabilities including privileged session management, remote access control, Identity-as-a-Service (IDaaS) with Single Sign-On (SSO) and Multi-Factor Authentication (MFA), and Identity and Access Governance (IAG). By enabling a Zero Trust security model, Wallix helps organizations manage, control, and audit all user access, secure sensitive data, and ensure compliance with stringent regulations.

Recent filings

Filing Released Lang Actions
INFORMATION MENSUELLE RELATIVE AU NOMBRE TOTAL DE DROITS DE VOTE ET D'ACTIONS COMPOSANT LE CAPITAL SOCIAL
Share Issue/Capital Change Classification · 1% confidence The document is titled "INFORMATION MENSUELLE RELATIVE AU NOMBRE TOTAL DE DROITS DE VOTE ET D'ACTIONS COMPOSANT LE CAPITAL SOCIAL" (Monthly Information Relative to the Total Number of Voting Rights and Shares Comprising the Share Capital) and explicitly references Article 223-16 of the AMF General Regulation. It provides a table detailing the total number of shares and voting rights as of January 31, 2017. This type of periodic disclosure regarding the total share capital and voting rights structure is a specific regulatory filing requirement, often related to changes in ownership thresholds or capital structure updates, but most closely aligns with notifications about significant shareholdings or capital changes. Since it is a monthly update on the total number of shares and voting rights, it fits best under Major Shareholding Notification (MRQ) or potentially Share Issue/Capital Change (SHA). Given the context of monthly reporting on the total count, MRQ is a strong candidate as these figures are crucial for monitoring major shareholder thresholds. However, the core content is the total capital structure update, which is a specific regulatory disclosure. Reviewing the definitions, 'Major Shareholding Notification (MRQ)' is for changes in *significant* ownership levels, while this document reports the *total* capital structure. 'Share Issue/Capital Change (SHA)' covers announcements regarding new share issues or capital changes. Since this is a mandatory monthly disclosure of the total voting rights and capital, it is a specific regulatory filing. In many jurisdictions, this type of monthly capital structure disclosure is often grouped with major shareholding reports or general regulatory updates. Given the options, and recognizing this is a mandatory disclosure about the capital base, it is closest to a notification related to share capital structure. If it were purely about a director's trade, it would be DIRS. If it were a general announcement, RNS. Since it is a specific, recurring report on the total share count, it is a regulatory filing. Comparing MRQ (changes in significant ownership) vs SHA (new issues/changes), this is a routine update on the total count. In the absence of a perfect 'Total Capital Disclosure' code, and noting that these figures are essential for monitoring major holdings, MRQ is plausible, but RNS (Regulatory Filings - fallback) is safer if it doesn't strictly meet the threshold definition of MRQ. However, the content is highly specific to capital structure reporting. Let's re-evaluate: This is a mandatory disclosure of the total number of shares and voting rights, often required when the total count changes significantly or on a set schedule. This is a specific regulatory filing. If we must choose the most specific fit among the options, and recognizing that the total voting rights are the basis for major shareholder calculations, MRQ is a possibility. However, since it is a routine monthly report on the *total* capital, it is a specific regulatory filing that doesn't perfectly match the definitions for MRQ (which implies crossing a threshold) or SHA (which implies a new issuance). Therefore, the most appropriate general category for a specific, non-standard report is RNS (Regulatory Filings). Upon closer inspection of similar filings, these monthly voting rights disclosures are often classified under general regulatory announcements when a specific code for 'Total Voting Rights Disclosure' is missing. I will classify it as RNS as the most accurate fallback for a specific, recurring regulatory disclosure not covered elsewhere.
2017-02-13 French
BILAN SEMESTRIEL DU CONTRAT DE LIQUIDITÉ AVEC LOUIS CAPITAL MARKETS
Regulatory Filings Classification · 1% confidence The document is titled "BILAN SEMESTRIEL DU CONTRAT DE LIQUIDITÉ AVEC LOUIS CAPITAL MARKETS" (Semi-annual balance sheet of the liquidity contract with Louis Capital Markets) and reports the status of shares and cash held under a liquidity contract as of 30/12/2016, comparing it to the previous period (30/06/2016). This is a periodic report detailing the status of a specific financial arrangement (liquidity contract/market making). It is not a full annual report (10-K), an earnings release (ER), or a standard interim report (IR) covering all operations. It specifically relates to the management of the company's own shares or market support activities, which aligns closely with the concept of share transactions or capital management, but the specific context of a 'contrat de liquidité' (liquidity contract) often falls under regulatory disclosures related to share activity or market operations. Given the options, it is a specific financial disclosure. Since it is a periodic report on a specific financial mechanism (liquidity contract/market making), and not a general financial statement, it doesn't fit perfectly into the main categories. However, it is a formal report on financial/share activity. If we consider 'Transaction in Own Shares' (POS) as encompassing market making/liquidity provision activities, this is the closest fit among the specific codes, as it details the inventory of shares held under the agreement. If it were a general regulatory filing not covered elsewhere, RNS would be used, but POS is more specific to share transactions/management.
2017-01-04 French
INFORMATION MENSUELLE RELATIVE AU NOMBRE TOTAL DE DROITS DE VOTE ET D'ACTIONS COMPOSANT LE CAPITAL SOCIAL
Share Issue/Capital Change Classification · 1% confidence The document is titled "INFORMATION MENSUELLE RELATIVE AU NOMBRE TOTAL DE DROITS DE VOTE ET D'ACTIONS COMPOSANT LE CAPITAL SOCIAL" (Monthly information relating to the total number of voting rights and shares comprising the share capital) and explicitly references Article 223-16 of the AMF General Regulation. It provides a table detailing the total number of shares and voting rights as of December 31, 2016. This type of regular disclosure concerning the total number of shares and voting rights is a specific regulatory requirement, often related to capital structure changes or mandatory periodic reporting on share capital. Among the provided codes, 'SHA' (Share Issue/Capital Change) is the most appropriate fit as it deals directly with the composition of the share capital and voting rights, which underpins capital structure reporting. It is not a general earnings release (ER), an interim report (IR), or a director's dealing report (DIRS).
2017-01-04 French
ERRATUM - 4 NOUVEAUX SECTEURS D'OPERATEURS D'IMPORTANCE VITALE A PROTEGER POUR LA WAB SUITE
Regulatory Filings Classification · 1% confidence The document is dated Paris, 15/12/2016, and is titled as an 'ERRATUM' correcting a previous press release. The content discusses regulatory updates in France concerning the security of 'opérateurs d'importance vitale (OIV)' mandated by ANSSI decrees, and how WALLIX Group's WAB Suite solution helps achieve compliance. It also announces the date for the next publication ('Chiffre d'affaires annuel 2016 le 15 février 2017'). This structure—a formal announcement correcting prior information, discussing regulatory compliance, and providing forward-looking dates for financial results—is characteristic of a press release or an earnings-related announcement, rather than a full financial report (10-K, IR) or a formal regulatory filing like a DEF 14A or DVA. Since it is an announcement related to company news and regulatory compliance, and it is not a transcript (CT) or a dedicated management discussion (MDA), it fits best as an Earnings Release (ER) if it were summarizing results, but here it is primarily a news update about regulatory impact and product relevance. Given the context of corporate communications, and the fact that it is a press release correcting a prior one, it is most likely an Earnings Release (ER) or a general Regulatory Filing (RNS). Since it is a specific press release correcting information, and it is not a formal financial statement, 'ER' is often used for initial results announcements, but this is more of a general corporate/regulatory update. However, the document is clearly a press release ('communiqué') announcing corporate developments related to regulation and product positioning. If it were purely regulatory without a financial context, RNS would be appropriate. Since it is a formal communication from the company about its business environment and compliance, and it is not a transcript or a formal report, I will classify it as a general Regulatory Filing (RNS) as it is a broad announcement that doesn't fit the highly specific financial codes, although it shares characteristics with an ER in its format as a press release. Given the strong focus on regulatory compliance (OIV, ANSSI) and the correction of a prior announcement, RNS is the most appropriate fallback for a non-financial, non-meeting-related press release.
2016-12-15 French
4 NOUVEAUX SECTEURS D'OPERATEURS D'IMPORTANCE VITALE A PROTEGER POUR LA WAB SUITE
Regulatory Filings Classification · 1% confidence The document is a press release dated December 14, 2016, from WALLIX GROUP discussing the implementation of new French regulations (ANSSI decrees) concerning the security of Operators of Vital Importance (OIV). It highlights how WALLIX's WAB Suite solution helps companies comply with these new security and governance rules. The text is promotional/informational regarding regulatory compliance and product relevance, not a formal financial filing like a 10-K, an earnings release (ER), or a quarterly report (IR). It is an announcement related to regulatory changes and the company's position within that context. Since it is a general announcement/press release that doesn't fit the specific categories like ER, CT, or IP, and it's not announcing the publication of a formal report (RPA), the most appropriate fallback category is Regulatory Filings (RNS), as it communicates information relevant to regulatory compliance and market positioning.
2016-12-14 French
INFORMATION MENSUELLE RELATIVE AU NOMBRE TOTAL DE DROITS DE VOTE ET D'ACTIONS COMPOSANT LE CAPITAL SOCIAL
Share Issue/Capital Change Classification · 1% confidence The document is titled "INFORMATION MENSUELLE RELATIVE AU NOMBRE TOTAL DE DROITS DE VOTE ET D'ACTIONS COMPOSANT LE CAPITAL SOCIAL" (Monthly Information Relating to the Total Number of Voting Rights and Shares Comprising the Share Capital) and is a declaration under Article 223-16 of the AMF General Regulation. It explicitly details the total number of shares and voting rights as of November 30, 2016. This type of regular disclosure regarding the capital structure and voting rights aligns directly with the definition of a filing related to share capital changes or major ownership notifications, but specifically focuses on the total count of shares and voting rights, which is a common regulatory requirement often tied to share issuance or major changes. Given the options, this is a specific disclosure about the composition of the share capital and voting rights. While it is not a formal 'Share Issue/Capital Change' (SHA) announcement of a transaction, it is a mandatory periodic report on the capital structure. However, the closest fit among the provided codes for a mandatory disclosure about the total number of shares and voting rights, which is a fundamental aspect of corporate structure reporting, is often grouped with capital structure updates or major shareholding notifications. Since it is a mandatory monthly report on the total number of shares and voting rights, it is most closely related to 'Major Shareholding Notification' (MRQ) or 'Share Issue/Capital Change' (SHA). Since it is a monthly update on the total count, and not necessarily a transaction, it fits best under the general category of capital structure reporting. In many contexts, these monthly voting rights reports are classified separately, but among the choices, 'SHA' (Share Issue/Capital Change) or 'MRQ' (Major Shareholding Notification) are possibilities. Given the explicit focus on the total number of voting rights and shares, it is a direct report on the capital base. I will classify this as 'SHA' as it reports the current state of the capital base, although 'MRQ' is also plausible if interpreted as a notification of the current major component (the total share count). However, since it is a mandatory periodic report on the total capital structure, and not a notification of a specific shareholder crossing a threshold, 'SHA' (Share Issue/Capital Change) is a slightly better fit for reporting the total capital base, or 'RNS' as a general regulatory filing. Given the specific nature of the content (total voting rights), and lacking a specific 'Voting Rights Report' code, I will lean towards 'RNS' as the most appropriate fallback for a specific, non-transactional regulatory disclosure that doesn't fit the other specific categories perfectly, or 'SHA' if interpreted broadly as a capital structure report. Re-evaluating the definitions: 'SHA' is for announcement regarding *new* share issues, stock splits, or *other* capital changes. This is a report *of* the capital structure. 'MRQ' is for changes in *significant share ownership levels*. This document reports the *total* shares, not specific owners crossing thresholds. Therefore, 'RNS' (General regulatory announcements and fallback) is the safest classification for this specific French regulatory filing type that doesn't map cleanly elsewhere. The document length is short (2879 chars), but it is the report itself, not an announcement of a report, so RPA/RNS rule 2 does not apply to classify it as RPA. I will use RNS as the general regulatory filing fallback.
2016-12-07 French

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