To view the PDF file, sign up for a MySharenet subscription.

PRESCIENT MANAGEMENT COMPANY (RF) PROPRIETARY LIMITED - Distribution Finalisation Announcement Quarter End 30 June 2025 -RWGPR

Release Date: 03/07/2025 10:25
Code(s): RWGPR     PDF:  
Wrap Text
Distribution Finalisation Announcement Quarter End 30 June 2025 -RWGPR

Prescient Management Company (RF) (Pty) Ltd
(Registration number 2002/022560/07)
("Prescient" or "the Manager")
(Being the manager of the Prescient ETF Scheme)

REITWAY GLOBAL PROPERTY PRESCIENT ETF ("RWGPR")
(a portfolio under the Prescient ETF Scheme registered in the Republic of South Africa in terms of the Collective
Investment Schemes Control Act, 45 of 2002 ("CISCA"))
Share Code: RWGPR
Short Name: RWGLOPROP
ISIN: ZAE000331021

DISTRIBUTION FINALISATION ANNOUNCEMENT QUARTER END 30 JUNE 2025

The Manager and Trustees of the Prescient Collective Investment Scheme in ETF Securities (being Prescient
Management Company (RF) (Pty) Ltd and Standard Bank), respectively, have declared a distribution to holders of
RWGPR securities ('investors') recorded in the register on Friday, 11 July 2025 in respect of the quarter ended 30
June 2025.

An aggregate amount of 5.32265 cents (R0.0532265) per RWGPR security is declared as follows:

 RWGPR                          Dividend         Dividend      Interest            Interest         TOTAL
                                Foreign Not SA   Foreign Not
 Distribution Source type       listed           SA listed     Local               Foreign
 Net Distribution Reinvested    No               No            No                  No
 Source of Funds (Country
 Code)                          Table 1          SG            ZA                  US
 Subject to Foreign
 Withholding tax                Yes              No            No                  No
 Gross Foreign Rate (cents
 per unit)                      7.01924          0.19904                           0.01028
 Foreign Tax % withheld at
 source                         27.53517%

 Foreign Tax amount per unit    1.93276
 DTA with Source Country        Table 1          10.00000%
 Foreign Tax Reclaim %          Table 1
 Portfolio/Management Cost
 Interest Expense
 Other costs
 Gross ZA Distribution (Cents
 per unit)                      5.08648          0.19904       0.02685             0.01028          5.32265

Applicable to non-exempt South African shareholders:
 Gross Local Rate (cents per
 unit)                          5.08648          0.19904       0.02685             0.01028
 SA Withholding Tax %
 SA Withholding Tax amount
 per unit

 Local Net Rate                 5.08648          0.19904       0.02685             0.01028          5.32265


Table 1
 Country            ISO Code    Split        Foreign Tax % withheld       DTA with source country   Foreign Tax Reclaim%
 United Kingdom     GB           8.19747%                  20.00000%                    15.00000%               5.00000%
 Japan              JP          11.20150%                  15.31554%                    15.00000%               0.31554%
 Sweden             SE           0.49450%                  29.99136%                    15.00000%              14.99136%
 United States      US          80.10654%                  29.99980%                    15.00000%              14.99980%

Notice is hereby given that the following dates are of importance with regards to the distribution for the quarter
ended 30 June 2025 by the ETF to holders of RWGPR securities:

 Declaration Date                                               Thursday, 03 July 2025
 Last day to trade "cum" distribution:                          Tuesday, 08 July 2025
 Securities trade "ex" distribution:                            Wednesday, 09 July 2025
 Record date:                                                   Friday, 11 July 2025
 Payment date:                                                  Monday, 14 July 2025


The distribution will be paid on Monday, 14 July 2025 to all securities holders recorded in the register on Friday, 11
July 2025.

No dividend withholding tax will be deducted from dividends payable to a South African tax resident qualifying for
exemption from dividend withholding tax provided that the investor has provided the
following forms to their Central Securities Depository Participant ("CSDP") or broker, in respect of its participatory
interest:

    a) a declaration that the distribution is exempt from dividends tax; and

    b) a written undertaking to inform their CSDP or broker, should the circumstances affecting the exemption
       change or the beneficial owner cease to be the beneficial owner, both in the form prescribed by the South
       African Revenue Service. South African tax resident investors are advised to contact their CSDP or broker,
       to arrange for the abovementioned documents to be submitted prior to payment of the distribution, if such
       documents have not already been submitted.

Distributions by Real Estate Investment Trusts (REITs) are subject to income tax for South African tax residents and
for non-residents it is subject to 20% SA withholding tax.

Withholding Tax on Interest (WTI) came into effect on 1 March 2015

Interest accruing from a South African source to a non-resident, excluding a controlled foreign company, will be
subject to withholding tax at a rate of 15% on payment, except interest,

    •   arising on any Government debt instrument.
    •   arising on any listed debt instrument.
    •   arising on any debt owed by a bank or the South African Reserve Bank.
    •   arising from a bill of exchange or letter of credit where goods are imported into South Africa and where an
        authorized dealer has certified such on the instrument.
    •   payable by a headquarter company.
    •   accruing to a non-resident natural person who was physically present in South Africa for a period exceeding
        183 days in aggregate, during that year, or carried on a business through a permanent establishment in
        South Africa.

Investors are advised that to the extent that the distribution amount comprise of any interest, it will not be subject to
WTI by virtue of the fact that it is listed debt instruments and/or bank debt.

Non-resident investors for South African income tax purposes.

The dividend distribution received by non-resident investors will be exempt from income tax in terms of section
10(1)(k)(i) of the Act but will be subject to dividend withholding tax. Dividend withholding tax is levied at a rate of 20%
unless the rate is reduced in terms of any applicable agreement for the avoidance of double taxation ("DTA") between
South Africa and the country of residence of the non-resident investor.

A reduced dividend withholding rate in terms of the applicable DTA may only be relied on if the non-resident investor
has provided the following forms to their CSDP or broker, in respect of its participatory interest:

    a) a declaration that the dividend is subject to a reduced rate as a result of the application of a DTA; and

    b) a written undertaking to inform the CSDP or broker should the circumstances affecting the reduced rate
       change or the beneficial owner cease to be the beneficial owner, both in the form prescribed by the South
       African Revenue Service. Non-resident investors are advised to contact their CSDP or broker, to arrange for
       the abovementioned documents to be submitted prior to the payment of the distribution if such documents
       have not already been submitted.
Both resident and non-resident investors are encouraged to consult their professional advisors should they be in any
doubt as to the appropriate action to take.

Cape Town
03 July 2025

Listing Advisor
Prescient Capital Markets (Pty) Ltd

Date: 03-07-2025 10:25:00
Produced by the JSE SENS Department. The SENS service is an information dissemination service administered by the JSE Limited ('JSE'). 
The JSE does not, whether expressly, tacitly or implicitly, represent, warrant or in any way guarantee the truth, accuracy or completeness of
 the information published on SENS. The JSE, their officers, employees and agents accept no liability for (or in respect of) any direct, 
indirect, incidental or consequential loss or damage of any kind or nature, howsoever arising, from the use of SENS or the use of, or reliance on,
 information disseminated through SENS.