1st Aug 2025 09:44
Mears Group PLC
("Mears" or "the Group" or "the Company")
Directorship
In accordance with Listing Rule 6.4.9(2), Mears Group PLC. announces that Nick Wharton, Non-Executive Director, has been appointed as a Non-Executive Director and Chair Designate of the Audit Committee of TheWorks.co.uk plc with effect from today.
Subject to shareholder approval of Nick's re-election at the Annual General Meeting of TheWorks.co.uk plc on 8 September 2025, Nick will become Chair of the Audit Committee of TheWorks.co.uk plc from 8 September 2025.
Contact information
Ben Westran, Company Secretary Tel: +44(0)1452 634600
www.mearsgroup.co.uk
About Mears
Mears is a leading provider of services to the Housing sector, providing a range of services to individuals within their homes. We manage and maintain around 450,000 homes across the UK and work predominantly with Central Government and Local Government, typically through long-term contracts. We equally consider the residents of the homes that we manage and maintain to be our customers, and we take pride in the high levels of customer satisfaction that we achieve.
Mears currently employs over 5,000 people and provides services in every region of the UK. In partnership with our Housing clients, we provide property management and maintenance services. Mears has extended its activities to provide broader housing solutions to solve the challenge posed by the lack of affordable housing and to provide accommodation and support for the most vulnerable.
We focus on long-term outcomes for people rather than short-term solutions and invest in innovations that have a positive impact on people's quality of life and on their communities' social, economic, and environmental wellbeing. Our innovative approaches and market leading positions are intended to create value for our customers and the people they serve while also driving sustainable financial returns for our providers of capital, especially our shareholders.
The information set out below is provided in accordance with the requirements of Article 19(3) of the EU Market Abuse Regulation No 596/2014 (as it forms part of domestic law by virtue of the European Union (Withdrawal) Act 2018).
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