Satrix S&P Namibia Bond ETF to Change From a Reinvesting Portfolio to a Distributing Portfolio SATRIX COLLECTIVE INVESTMENT SCHEME IN SECURITIES 2 SATRIX S&P NAMIBIA BOND ETF JSE Code: STXNAM NSX code: SXNNAM ISIN: ZAE000318275 ("Satrix Nam") A portfolio in the Satrix Collective Investment Scheme in Securities 2, registered as such in terms of the Collective Investment Schemes Control Act, 45 of 2002 Satrix S&P Namibia Bond ETF To Change From A Reinvesting Portfolio To A Distributing Portfolio 1. Introduction Satrix S&P Namibia Bond unitholders ("Unitholders") are referred to the FSCA Conduct Standard 1 of 2020 (CIS) ("Conduct Standard") issued by the Financial Sector Conduct Authority ("FSCA") on 19 May 2020. The Conduct Standard is applicable to portfolios comprising collective investment schemes registered in terms of the Collective Investment Schemes Control Act, 2002 (Act No. 45 of 2002) ("CISCA"). The Conduct Standard is intended to set minimum requirements for net asset valuation calculation and pricing for collective investment scheme portfolios registered in terms of CISCA and are therefore applicable to the STXNAM portfolio. In terms of the Conduct Standard, and as further set out below, the STXNAM portfolio distribution method which currently allows for the re-investing of all coupons received, will now be adjusted to one in which all coupons received are paid out in cash to Unitholders. 2. Background on the STXNAM The STXNAM portfolio tracks the S&P Namibia Sovereign Bond 1+ Year Top 10 Index (the "Index"), an index designed to track the performance of the 10 largest Namibian bonds publicly issued by the Namibian government for the domestic market. Coupons and interest from the underlying bonds are reinvested quarterly. The STXNAM portfolio declares a notional (deemed) distribution to unitholders quarterly. The value of this quarterly deemed distribution equates to the cumulative value of coupons earned and reinvested in the preceding quarter by the STXNAM portfolio, into constituents securities of the Index. Such coupons and interest in respect of the distribution does not incur dividends tax as it is not considered a dividend however unitholders will be liable for income tax at their marginal rate of tax on the coupons and interest declared and deemed to have been received. The STXNAM portfolio is considered to be a reinvesting portfolio as all income, which as stated above primarily consists of coupons and interest, is declared to Unitholders on declaration date and then is reinvested by Satrix on behalf of Unitholders into constituent securities of the Index in the exact proportions as per the Index. 3. Rationale for the change in distribution methodology The Thirty-Eight Supplement to the Offering Circular and Pre-listing Statement Methodology issued in terms of the STXNAM Portfolio on 14 February 2023 stipulates the re-investment of distributions declared in terms of the STXNAM portfolio. As such, the Thirty-Eight Supplement Methodology is therefore not in compliance with paragraph 10.1 ("Conduct Standard Distribution Methodology") which reads as follows: "All income received and accrued by a portfolio or class after deducting permissible costs must be distributed to investors so that it is taxed in the hands of the investor and that the nature of the income is preserved in the process." The Conduct Standard Distribution Methodology therefore gives rise to distributions, which must be distributed to investors and not re- invested. Hence, as a result of the Conduct Standard Distribution Methodology, distributions declared by the STXNAM portfolio shall be distributed in cash to Unitholders on a quarterly basis and not reinvested in the portfolio. 4. Financial effect on Unitholders The change from the Thirty-Eight Supplement Distribution Methodology to the Conduct Standard Distribution Methodology will have no financial effect on Unitholders. Unitholders will realise the same economic outcome and subject to the same tax principles. 5. Application of JSE Listings Requirement and amendment of the Thirty Eight Supplement Paragraph 19.20(a) of the Listings Requirements of JSE Limited reads as follows: "An issuer is required to comply with the following continuing obligations once its securities have been listed: (a) in the event that the issuer makes any changes to the placing document or pricing supplement that affect the terms and conditions of the securities or the guarantee, other than changes which are of a formal, minor or technical nature or are made to correct a manifest error or to comply with mandatory provisions of the law, the applicant issuer must obtain approval from holders of securities, holding not less than 66.67% of the value of a specific class of securities;" Hence as the change in distribution methodology is necessitated by the Conduct Standard which is considered to be a change to comply with mandatory provisions of the law, no approval from Unitholders is required to implement the STXNAM portfolio distribution method. The Thirty Eight Supplement has been amended to reflect the change in distribution methodology as set out in the Conduct Standard. 13 January 2025 JSE Sponsor Vunani Sponsor NSX Sponsor Cirrus Securities Date: 13-01-2025 04:40:00 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.