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Disclosure requirements under Regulation (EU) 2019/2088 of the European Parliament and of the Council of 27 November 2019 (“SFDR”) of Shannonside Capital SICAV plc (“Shannonside”) - an investment company with variable share capital with licence to carry out the activities of a collective investment scheme in the form of a Professional Investor Fund targeting Qualifying in respect of Shannonside Capital Fund (“the Fund”): Shannonside does not promote financial products which would fall within scope of Articles 8 or 9 of SFDR due to environmental or social characteristics. Shannonside falls within scope of Article 6 of SFDR. Shannonside has determined that sustainability risks are not material to its investment decision making activities or to the returns of its sub-Fund(s) in light of the investment strategy, size, nature and scale of activities of Shannonside and its sub-Fund(s) and hence the integration of sustainability risks into investment decision processes at Shannonside is not deemed to be relevant. The size, nature and scale of activities of the Shannonside and its sub-Fund(s) are not deemed likely to result in material adverse impacts on sustainability factors. As such principal adverse impacts of investment decisions on sustainability factors are not considered. This approach is not anticipated to change in the foreseeable future. Variable remuneration is only paid to Shannonside members if the relevant performance criteria are met. Shannonside’s variable remuneration structures are not deemed to create an incentive to take on excessive risk to the detriment of environmental, social and governance outcomes or sustainability. As such Shannonside’s existing structures are believed to prevent excessive risk taking in respect of sustainability risks.

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