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Rule 2.9 Announcement

Rule 2.9 Announcement.

articleRedcentric PlcNovember 2, 20205/company/redcentric-plc/news/rule-29-announcement-78
Rule 2.9 Announcement

About this update from Redcentric Plc

[{"type":"text","content":"\n \n \n \n RNS Number : 9928D\n Redcentric PLC\n 02 November 2020\n  \n \n \n \n NOT FOR RELEASE, PUBLICATION OR DISTRIBUTION, IN WHOLE OR IN PART, IN, INTO, OR FROM ANY JURISDICTION WHERE TO DO SO WOULD CONSTITUTE A VIOLATION OF THE RELEVANT LAWS OF THAT JURISDICTION\n \n \n  \n \n \n  \n \n \n 2 November 2020\n \n \n Redcentric PLC\n \n \n (\"Redcentric\" or the \"Company\")\n \n \n  \n \n \n Rule 2.9 Announcement\n \n \n In accordance with Rule 2.9 of the Code, Redcentric confirms that, as at the close of business on 30 October 2020, and excluding any Treasury Shares, it had in issue 155,577,047 ordinary shares of 0.1 pence each. The International Securities Identification Number (ISIN) for Redcentric's ordinary shares is GB00B7TW1V39.\n \n \n  \n \n \n Enquiries:\n \n \n  \n \n \n \n \n \n Redcentric\n \n \n \n \n \n \n \n \n \n \n \n \n \n Peter Brotherton, Chief Executive Officer\n \n \n \n \n +44 (0)800 983 2522\n \n \n \n \n \n \n David Senior, Chief Financial Officer\n \n \n \n \n \n \n \n \n \n \n \n \n \n \n \n \n \n \n \n \n \n \n \n \n \n \n \n \n \n Stifel Nicolaus Europe Limited (Sole Financial Adviser)\n \n \n \n \n \n \n Patrick Seely / Hamish Shah\n \n \n Nick Adams / Alex Price\n \n \n  \n \n \n \n \n +44 (0) 20 7710 7600\n \n \n \n \n \n \n finnCap Limited (Nomad and Broker)\n \n \n \n \n +44 (0)20 7220 0500\n \n \n \n \n \n Marc Milmo / Simon Hicks / Charlie Beeson (Corporate Finance)\n \n \n Andrew Burdis / Sunila de Silva (ECM)\n \n \n  \n \n \n Disclosure requirements of the Code\n \n \n  \n \n \n Under Rule 8.3(a) of the Code, any person who is interested in 1% or more of any class of relevant securities of an offeree company or of any securities exchange offeror (being any offeror other than an offeror in respect of which it has been announced that its offer is, or is likely to be, solely in cash) must make an Opening Position Disclosure following the commencement of the offer period and, if later, following the announcement in which any securities exchange offeror is first identified. An Opening Position Disclosure must contain details of the person's interests and short positions in, and rights to subscribe for, any relevant securities of each of (i) the offeree company and (ii) any securities exchange offeror(s). An Opening Position Disclosure by a person...

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