Insider regulations

Raisio Group complies with the Guidelines for Insiders (2016) issued by Nasdaq Helsinki Ltd with the following clarifications and additions: 

  • a person in a management position and a person under his or her guardianship may not trade in the issuer's financial instrument on own account or for the account of a third party, directly or indirectly, in the period beginning on the end date of each reported period and ending on the publication date of the interim report or the financial statements bulletin (closed window);
  • a person involved in the preparation of financial reports (interim reports, financial statements) and a person under his or her guardianship may not trade in the issuer's financial instrument on own account or for the account of a third party, directly or indirectly, in the period between the end date of each reported period and the publication date of the corresponding interim report or financial statements bulletin.

 

Raisio's insider administration maintains a register of persons in management position and their closely associated persons and entities. In addition, the insider administration maintains a register of persons with access to inside information (Article 18 of MAR). As of July 2016, the insider registers are virtually project-specific. These registers are not public.

The insider administration monitors the compliance with trading restrictions concerning insiders and persons occupying managerial positions or involved in the preparation of financial reports as well as the compliance with the notification obligation. On a regular basis, it reviews the disclosed insider information.  The insider administration uses the Euroclear Finland Ltd's book-entry system.

Guidelines for insiders of listed companies