Trinity Mirror

Trinity Mirror

Events 2012

Date Event Titles Downloads Location
08/11/2012 Interim Management Statement    
02/08/2012 Interim Results Announcement    
10/05/2012 AGM

Hilton London Canary Wharf,
South Quay,
Marsh Wall,
London,
E14 9SH

10/05/2012 Interim Management Statement    
15/03/2012 Preliminary Results Announcement    

Events 2013

Date Event Titles Downloads Location
14/11/2013 Interim Management Statement    
01/08/2013 Interim Results Announcement    
16/05/2013 AGM

Hilton London Canary Wharf,
South Quay,
Marsh Wall,
London,
E14 9SH

16/05/2013 Interim Management Statement    
14/03/2013 Preliminary Results Announcement    

Events 2014

Date Event Titles Downloads Location
10/11/2014 Interim Management Statement    
28/07/2014 Interim Results Announcement    
15/05/2014 AGM

Hilton London Canary Wharf
South Quay
Marsh Wall
London
E14 9SH

15/05/2014 Interim Management Statement    
28/03/2014 General Meeting

The Museum of London Docklands,
No 1 Warehouse,
West India Quay,
London.
E14 4AL

13/03/2014 Annual Results Announcement    

Events 2015

Date Event Titles Downloads Location
17/12/2015 Trading Update    
30/11/2015 Interim Dividend Payment
13/11/2015 EGM

The Museum of London Docklands
No 1 Warehouse
West India Quay
London
E14 4AL

05/10/2015 Trading Update    
02/10/2015 Dividend Record
02/10/2015 Ex Dividend (Interim)
03/08/2015 Interim Results Announcement    
26/06/2015 Half Year Pre Close Statement    
04/06/2015 Dividend Payment
08/05/2015 Dividend Record
07/05/2015 AGM Trading Update    
07/05/2015 AGM

Hilton London Canary Wharf
South Quay
Marsh Wall
London
E14 9SH

02/03/2015 Annual Results Announcement    

Events 2016

Date Event Titles Downloads Location
16/12/2016 Year End Pre Close Statement    
25/11/2016 Interim Dividend Payment
04/11/2016 Interim Dividend Record
30/09/2016 Trading Update    
01/08/2016 Interim Results Announcement    
01/07/2016 Half Year Pre Close Statement    
10/06/2016 Dividend Payment
13/05/2016 Dividend Record
05/05/2016 AGM Trading Update    
05/05/2016 Annual General Meeting

Museum of London Docklands,
No.1 Warehouse,
West India Quay,
London
E14 4AL

29/02/2016 Annual Results Announcement    

Events 2017

Date Event Titles Downloads Location
27/02/2017 Annual Results Announcement    
04/05/2017 AGM Trading Update    
04/05/2017 Annual General Meeting

Notice of Meeting
Proxy Voting Results

Museum of London Docklands,
No.1 Warehouse,
West India Quay,
London
E14 4AL

12/05/2017 Dividend Record
09/06/2017 Dividend Payment
30/06/2017 Half Year Pre Close Statement    
31/07/2017 Interim Results Announcement    
09/10/2017 Trading Update    
15/12/2017 Year End Pre Close Statement
26/02/2018 Annual Results Announcement
03/05/2018 Trading Update
29/06/2018 Half Year Pre-Close Statement
30/07/2018 Interim Results Announcement
08/10/2018 Trading Update
14/12/2018 Year End Pre-Close Statement

We have a PDF of our Memorandum & Articles of Association available for you to download.

Download full Memorandum & Articles of Association

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About this Cookie policy

This Cookie Policy applies to all of our websites and our mobile applications ("the Website").

In this Cookie Policy, when we refer to any of our Websites, we mean any website or mobile application operated by or on behalf of Trinity Mirror plc or its subsidiaries and affiliates (collectively "Trinity Mirror"), regardless of how you access the network. This Cookie Policy forms part of and is incorporated into our Website Terms and Conditions.

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Our use of cookies

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The Independent Press Standards Organisation (IPSO), as Regulator, is charged with enforcing the following Code of Practice, which was framed by the Editors’ Code of Practice Committee and is enshrined in the contractual agreement between IPSO and newspaper, magazine and electronic news publishers

THE CODE

All members of the press have a duty to maintain the highest professional standards. The Code, which includes this preamble and the public interest exceptions below, sets the benchmark for those ethical standards, protecting both the rights of the individual and the public's right to know. It is the cornerstone of the system of self-regulation to which the industry has made a binding commitment.

It is essential that an agreed code be honoured not only to the letter but in the full spirit. It should not be interpreted so narrowly as to compromise its commitment to respect the rights of the individual, nor so broadly that it constitutes an unnecessary interference with freedom of expression or prevents publication in the public interest.

It is the responsibility of editors and publishers to apply the Code to editorial material in both printed and online versions of publications. They should take care to ensure it is observed rigorously by all editorial staff and external contributors, including non-journalists, in printed and online versions of publications.

Editors should co-operate swiftly with the Independent Press Standards Organisation CIC (the ‘Regulator’) in the resolution of complaints. Any publication judged to have breached the Code must publish the adjudication in full and with due prominence agreed by the Regulator, including headline reference to the Regulator.

Clause 1 Accuracy

i) The Press must take care not to publish inaccurate, misleading or distorted information, including pictures.

ii) A significant inaccuracy, misleading statement or distortion once recognised must be corrected, promptly and with due prominence, and - where appropriate - an apology published. In cases involving the Regulator, prominence should be agreed with the Regulator in advance.

iii) The Press, whilst free to be partisan, must distinguish clearly between comment, conjecture and fact.

iv) A publication must report fairly and accurately the outcome of an action for defamation to which it has been a party, unless an agreed settlement states otherwise, or an agreed statement is published.

Clause 2 Opportunity to reply

A fair opportunity for reply to inaccuracies must be given when reasonably called for.

*Clause 3 Privacy

i) Everyone is entitled to respect for his or her private and family life, home, health and correspondence, including digital communications.

ii) Editors will be expected to justify intrusions into any individual's private life without consent. Account will be taken of the complainant's own public disclosures of information.

iii) It is unacceptable to photograph individuals in private places without their consent. Note - Private places are public or private property where there is a reasonable expectation of privacy.

*Clause 4 Harassment

i) Journalists must not engage in intimidation, harassment or persistent pursuit.

ii) They must not persist in questioning, telephoning, pursuing or photographing individuals once asked to desist; nor remain on their property when asked to leave and must not follow them. If requested, they must identify themselves and whom they represent.

iii) Editors must ensure these principles are observed by those working for them and take care not to use non-compliant material from other sources.

Clause 5 Intrusion into grief or shock

i) In cases involving personal grief or shock, enquiries and approaches must be made with sympathy and discretion and publication handled sensitively. This should not restrict the right to report legal proceedings, such as inquests.

ii) When reporting suicide, care should be taken to avoid excessive detail about the method used.

*Clause 6 Children

i) Young people should be free to complete their time at school without unnecessary intrusion.

ii) A child under 16 must not be interviewed or photographed on issues involving their own or another child’s welfare unless a custodial parent or similarly responsible adult consents.

iii) Pupils must not be approached or photographed at school without the permission of the school authorities.

iv) Minors must not be paid for material involving children’s welfare, nor parents or guardians for material about their children or wards, unless it is clearly in the child's interest.

v) Editors must not use the fame, notoriety or position of a parent or guardian as sole justification for publishing details of a child’s private life.

*Clause 7 Children in sex cases

  1. The press must not, even if legally free to do so, identify children under 16 who are victims or witnesses in cases involving sex offences.
  2. In any press report of a case involving a sexual offence against a child -

i) The child must not be identified.

ii) The adult may be identified.

iii) The word "incest" must not be used where a child victim might be identified.

iv) Care must be taken that nothing in the report implies the relationship between the accused and the child.

*Clause 8 Hospitals

i) Journalists must identify themselves and obtain permission from a responsible executive before entering non-public areas of hospitals or similar institutions to pursue enquiries.

ii) The restrictions on intruding into privacy are particularly relevant to enquiries about individuals in hospitals or similar institutions.

*Clause 9 Reporting of crime

(i) Relatives or friends of persons convicted or accused of crime should not generally be identified without their consent, unless they are genuinely relevant to the story.

(ii) Particular regard should be paid to the potentially vulnerable position of children who witness, or are victims of, crime. This should not restrict the right to report legal proceedings.

Clause 10 Clandestine devices and subterfuge

i) The press must not seek to obtain or publish material acquired by using hidden cameras or clandestine listening devices; or by intercepting private or mobile telephone calls, messages or emails; or by the unauthorised removal of documents or photographs; or by accessing digitally-held private information without consent.

ii) Engaging in misrepresentation or subterfuge, including by agents or intermediaries, can generally be justified only in the public interest and then only when the material cannot be obtained by other means.

Clause 11 Victims of sexual assault

The press must not identify victims of sexual assault or publish material likely to contribute to such identification unless there is adequate justification and they are legally free to do so.

Clause 12 Discrimination

i) The press must avoid prejudicial or pejorative reference to an individual's race, colour, religion, gender, sexual orientation or to any physical or mental illness or disability.

ii) Details of an individual's race, colour, religion, sexual orientation, physical or mental illness or disability must be avoided unless genuinely relevant to the story.

Clause 13 Financial journalism

i) Even where the law does not prohibit it, journalists must not use for their own profit financial information they receive in advance of its general publication, nor should they pass such information to others.

ii) They must not write about shares or securities in whose performance they know that they or their close families have a significant financial interest without disclosing the interest to the editor or financial editor.

iii) They must not buy or sell, either directly or through nominees or agents, shares or securities about which they have written recently or about which they intend to write in the near future.

Clause 14 Confidential sources

Journalists have a moral obligation to protect confidential sources of information.

Clause 15 Witness payments in criminal trials

i) No payment or offer of payment to a witness - or any person who may reasonably be expected to be called as a witness - should be made in any case once proceedings are active as defined by the Contempt of Court Act 1981.

This prohibition lasts until the suspect has been freed unconditionally by police without charge or bail or the proceedings are otherwise discontinued; or has entered a guilty plea to the court; or, in the event of a not guilty plea, the court has announced its verdict.

*ii) Where proceedings are not yet active but are likely and foreseeable, editors must not make or offer payment to any person who may reasonably be expected to be called as a witness, unless the information concerned ought demonstrably to be published in the public interest and there is an over-riding need to make or promise payment for this to be done; and all reasonable steps have been taken to ensure no financial dealings influence the evidence those witnesses give. In no circumstances should such payment be conditional on the outcome of a trial.

*iii) Any payment or offer of payment made to a person later cited to give evidence in proceedings must be disclosed to the prosecution and defence. The witness must be advised of this requirement.

*Clause 16 Payment to criminals

i) Payment or offers of payment for stories, pictures or information, which seek to exploit a particular crime or to glorify or glamorise crime in general, must not be made directly or via agents to convicted or confessed criminals or to their associates – who may include family, friends and colleagues.

ii) Editors invoking the public interest to justify payment or offers would need to demonstrate that there was good reason to believe the public interest would be served. If, despite payment, no public interest emerged, then the material should not be published.

The public interest

There may be exceptions to the clauses marked * where they can be demonstrated to be in the public interest.

  1. 1. The public interest includes, but is not confined to:
    i) Detecting or exposing crime or serious impropriety.
    ii) Protecting public health and safety.
    iii) Preventing the public from being misled by an action or statement of an individual or organisation.
  2. There is a public interest in freedom of expression itself.
  3. Whenever the public interest is invoked, the Regulator will require editors to demonstrate fully that they reasonably believed that publication, or journalistic activity undertaken with a view to publication, would be in the public interest and how, and with whom, that was established at the time.
  4. The Regulator will consider the extent to which material is already in the public domain, or will become so.
  5. In cases involving children under 16, editors must demonstrate an exceptional public interest to over-ride the normally paramount interest of the child.