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Tuesday 10 February, 2009

Blue Ridge Capital Holdings LL

Short Selling Disclosure

Form TR-3. FSA Version 1.0 June 2008

TR-3 (1):  Disclosure of Disclosable Short Position relating to Securities     
           which are the subject of a rights issue (2)                         

1. Full name of person(s) holding        John Griffin Esq. in his capacity as  
the disclosable short position (3):      managing member of Blue Ridge Capital 
                                         Holdings LLC and Blue Capital Offshore
                                         Holdings LLC which are respectively   
                                         the general partners of Blue Ridge    
                                         Limited Partnership and Blue Ridge    
                                         Offshore Master Limited Partnership.  
2: Name of the issuer of the relevant    Hammerson PLC                         
3: Disclosable short position (4)        John Griffin: aggregate: 1.84%        
                                         Blue Ridge Limited Partnership: 1.12% 
                                         Blue Ridge Offshore Master Limited    
                                         Partnership: 0.72%                    
4. Date that disclosable short position  9th February, 2009                    
was reached or exceeded                                                        

(1) This form, or the information contained within it, should be disclosed via
an RIS using the short code DSP. Issuers should conform the commencement of the
rights issuer period with a disclosure, via an RIS, using the short code ARI.

(2) This form relates to the disclosure of short positions in compliance with
amendments to MAR 1.9 market abuse (misleading behaviour) and market abuse
(distortion) of the Market Conduct Sourcebook (MAR). Further material on this
can be found in the FSA's press release of 13 June 2008,
pages/Library/Communication/PR/2008/057.shtml and the related FAQ document on
the FSA's website.

(3) Specify the owner or controller of the interest. The naming of nominees or
vehicle companies is insufficient. In the case of positions held by fund
managers on behalf of discretionary clients, the clients need not be named.
Market makers as defined in the Glossary of Definitions in the FSA Handbook and
acting in their capacity as such may be exempt from disclosure of own account
positions: see the definition of "disclosable short position". Positions may be
aggregated in some cases. See FAQ document for further details.

(4) Figure to be expressed as a percentage of issued share capital. Disclosable
short position is defined in the Glossary of Definitions in the FSA Handbook.
Positions must be disclosed on a net basis of all holdings. All financial
instruments that represent a direct interest or direct economic interest in the
relevant issuer must be included within such holdings.


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