EBOS Group Limited/Announcement
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FY2025 Climate Statement

Full Year Results1 October 2025EBOHealthcare

EBOS Group Limited. NZBN 9429031998840
108 Wrights Road, Addington, Christchurch, New Zealand, 8024

Level 7, 737 Bourke Street, Docklands, Victoria, Australia, 3008

Phone: +61 3 9918 5555, Fax: +61 3 9918 5588.

www.ebosgroup.com




1 October 2025

NZX/ASX Code: EBO


FY 2025 Climate Statement



Please see attached EBOS’ Climate Statement in respect of the year ended 30 June 2025. A copy is

also available at: https://www.ebosgroup.com/sustainability/climate-statement.



Authorised for lodgement with NZX and ASX by Janelle Cain, General Counsel, EBOS Group

Limited.


Contact:

Janelle Cain

General Counsel

EBOS Group Limited

+ 61 3 9918 5555


1
EBOS Climate-related Disclosure for FY25

Climate-related Disclosures for FY25

Climate

Statement

2
EBOS Climate-related Disclosure for FY25

Table 1: Overview of climate scenarios

Table 2: Overview of projected climate hazards

Table 3: Climate-related risks

Table 4: Unquantifiable transition risks

Table 5: Current physical climate risk exposure to sites

Table 6: EBOS’ transition plan progress to date

Table 7: GHG emissions

Table 8: Other metrics

Table 9: Targets

Figure 1: Organisational Structure and ESG Steering Committee composition

Figure 2: Gross Operating Revenue

Figure 3: Tools and methods used for scenario-based analysis

Tables

Figures

1. Introduction 3

2. Governance 5

3. Strategy 7

4. Risk Management 17

5. Metrics and Targets 18

Contents

3
EBOS Climate-related Disclosure for FY25

1.1 Purpose

This Climate Statement has been prepared to inform investors,

potential investors, lenders and other creditors (being defined

categories of ‘primary users’ of this Climate Statement) about

material climate-related matters for EBOS Group Limited (EBOS

or the Group) as required by the New Zealand Financial Markets

Conduct Act 2013 (FMCA).

For our broader stakeholder group, we also provide an overview of

our ESG activities and strategies, including Ethical Sourcing,

Our People, Community and Environment, Data Security and

Privacy, and Sustainable Packaging in our annual report and online

at https://www.ebosgroup.com/sustainability/.

1.2 Statement of compliance

This Climate Statement has been prepared by EBOS for the period

1 July 2024 – 30 June 2025 (FY25). It has been prepared in accordance

with the ‘Aotearoa New Zealand Climate Standards’ (the Standards).

Use of adoption provisions is set out at Section 1.6 below.

1.3 Reporting period and entity

The climate-related disclosures in this report have been prepared

for the same reporting period and reporting entity and in the same

presentation currency as the Group’s annual financial statements

for FY25.

1.4 Principles of reporting

This report is EBOS’ second mandatory Climate Statement and

sets out EBOS’ current understanding of EBOS’ climate-related

risks and opportunities as well as current and anticipated impacts

of climate change on EBOS, and how we manage these risks.

The information contained in this report reflects our current

understanding as at 30 September 2025, in respect of FY25.

Disclaimer

Climate-related information

During FY25, EBOS continued to refine its climate-related risks

and opportunities, its anticipated impacts from these risks and

opportunities, and developed its transition plan. The description

of these items in this Climate Statement replaces those in our

previous Climate Statement and related disclosures in our annual

reports and sustainability reports.

We acknowledge that some information in this Climate Statement

will evolve over time and that the data and inputs we have currently

are also evolving, and in many cases are novel and based on

significant assumptions. As such, the representations in this

Climate Statement are subject to significant uncertainties.

In some cases, we rely on suitably qualified third parties for

information included in this Climate Statement (for example,

but not limited to, projected climate hazards and anticipated

impacts). The information available from third parties may change

over time due to a number of factors, including a change in

reporting methodology or changes in reporting standards applying

to that third party.

Forward-looking statements

This report contains forward looking statements, including climate-

related scenarios, targets, assumptions, climate projections,

forecasts, statements of EBOS’ future intentions, estimates and

judgements. These statements involve assumptions, forecasts and

projections about EBOS’ present and future strategies and the

environment in which EBOS will operate in the future, which are

inherently uncertain and subject to limitations, particularly as to

inputs, available data and information which is likely to change.

The risks and opportunities described here, and our strategies to

achieve our targets, may not eventuate or may be more or less

significant than anticipated. There are many factors that could

cause EBOS’ actual results, or performance or achievement of

climate-related metrics (including targets) to differ materially from

that described, including economic and technological viability,

as well as climatic, government, consumer, and market factors

outside of EBOS’ control. EBOS has sought to provide a reasonable

basis for forward-looking statements and is committed to

progressing our response to climate-related risks and opportunities

over time, but we caution reliance on aspects of this report that are

necessarily less reliable than other aspects of our annual reporting.

This report is not an offer document and does not constitute an

offer or invitation or investment recommendation to distribute or

purchase securities, shares, or other interests. Nothing in this report

should be interpreted as capital growth, earnings or any other legal,

financial, tax, or other advice or guidance. For detailed information

on our financial performance, please refer to our annual report.

To the maximum extent permitted by law, EBOS and its directors,

officers, employees and contractors shall not be liable for any

loss or damage arising in any way from or in connection with any

information provided or omitted as part of this Climate Statement.

1.5 Risks, including in relation to targets

Market and industry dynamics outside our strategic planning

horizon: Our annual strategic business review horizon is typically

three years, which we consider adequate for our wholesale,

distribution and contract logistics activities. These activities, which

comprise 91% of Gross Operating Revenue (GOR)

1

(see section 3.5)

are service offerings that require dynamic responses to market

changes and changes in the behaviours of market participants,

including governments. Developments unrelated to climate, such

as, but not limited to, medical advancements, new funding models,

global or regional health crises and changes to care delivery, could

result in a strategic response or business and industry changes

that could invalidate the risk and opportunity assessment in this

disclosure.

Regulatory approvals/ changes impacting solar arrays:

The Group’s ability to meet the targets we have set (see section

5.4) relies, in part, on the construction and commissioning of solar

arrays in Australia and the entry into relevant agreements related

to those solar arrays. The construction and commissioning of the

arrays may be impacted by delays in regulatory approvals, the

timely implementation of necessary government-owned electricity

distribution network infrastructure or regulatory changes.

Availability of carbon credits and offsets: The ability to meet the

targets we have set relies, in part, on Australian Carbon Credit

Units (ACCUs)

2

being available at an economic price. The Group

does not control the price of ACCUs. If the price of ACCUs was to

substantially increase such that it was uneconomic for the Group

to purchase ACCUs (or a recognised equivalent), this would impact

the Group’s ability to offset its emissions.

Use of unaccredited offsets: The Group reports on carbon offsets

generated by Greenfleet, a long-standing partner of the Group.

Unlike ACCUs, these offsets are not accredited but are subject to

assurance by an independent third party engaged by Greenfleet.

If we set targets for certain Scope 3 emissions in the future, we

may rely on Greenfleet offsets. If Greenfleet cannot generate the

expected carbon offsets for any reason, this will impact the Group’s

ability to offset emissions and could mean that the Group seeks to

acquire offsets from an alternative source, such as ACCUs, which

cost could substantially increase such that it is uneconomic for the

Group to buy them.

1

Gross Operating Revenue (GOR) comprises revenue less cost of sales.

2

One ACCU represents one tonne of carbon dioxide equivalent (tCO

2

-e) that would have otherwise been released into the atmosphere under the Australian Government’s

Australian Carbon Credit Unit (ACCU) Scheme.

1. Introduction

4
EBOS Climate-related Disclosure for FY25

Leased sites: The Group has a mix of owned and leased sites.

Where large sites are leased and are capable of doing so, the Group

will work with the landlord on measures to limit carbon emissions

from the building. However, it is possible that landlords could refuse

or limit the Group’s requirements.

Increased GHG inventory: The Group has a well-established

strategy of investing for growth, including through acquisitions.

If and when businesses are acquired, these will be included in our

greenhouse gas (GHG) inventory (the timing of including acquired

businesses is more fully described in section 5.1). There is no

guarantee that the Group will be able to meet any future targets

related to GHG emissions where there is a material increase in

the Group’s GHG inventory as a result of acquisitions. In addition,

an increase in the Group’s GHG inventory could lead to such

a significant corresponding increase in the amount of offsets

acquired by the Group or in costs related to measures to limit GHG

emissions that the Group needs to revise GHG strategies or targets.

Regulatory, policy and market practice risks: There have been and

continue to be frequent changes in climate-related policies, laws and

market practice in the markets in which the Group operates. The

dynamic regulatory environment and developing market practice

could create uncertainty and complicate long-term planning – for

example, changes in expectations or requirements regarding the use

of offsets could risk the Group’s ability to meet its current and future

targets. The implementation of stricter emission reduction targets

or sustainability standards may necessitate significant operational

changes and investment. The financial burden of complying with

new regulations, including reporting and mitigation requirements,

could result in increased costs for the Group.

Operational risks: In order to achieve its targets, the Group will need

to invest in projects such as solar arrays. There may be unforeseen

additional direct and indirect costs associated with implementing

such projects, for example the cost of materials and labour, supply

shortages and latent conditions.

Technological advances and adoption of technology: The Group’s

targets (both present and potential future targets) and the Group’s

transition plan are dependent on the availability of technology that

is feasible on both a commercial and technical basis.

1.6 Adoption provisions

For this second mandatory report, EBOS has elected to apply the

following NZ CS 2 adoption provisions:

• Adoption provision 2: Anticipated financial impacts –

This provides an exemption from disclosing the anticipated

financial impact of climate-related risks and opportunities and

the time horizons over which the risks and opportunities are

expected to occur. We continue to build processes to assess and

quantify these impacts.

• Adoption provision 4: Scope 3 GHG emissions – This provides

an exemption from disclosing all of our Scope 3 GHG emissions.

We are continuing to build processes to establish our carbon

inventory.

• Adoption provision 6: Comparatives for metrics (paragraph

21 only) – This provides an exemption from the requirement to

disclose comparative information for the two preceding reporting

periods. As FY24 was our first year of reporting, we have applied

the provision to provide one year of comparative information for

each metric.

• Adoption provision 7: Analysis of trends – This provides an

exemption from disclosing analysis of the main trends from a

comparison of each metric from previous reporting periods to the

current reporting period.

5
EBOS Climate-related Disclosure for FY25

This section describes the role of the EBOS Board in overseeing

climate-related risks and opportunities, and the role of

management in assessing and managing those considerations.

2.1 Governance of climate-related risks and opportunities

In accordance with our Corporate Governance Code, the Board

has responsibility for approving, overseeing and monitoring the

Group’s response to and management of climate-related risks

and opportunities. It has established regular reporting to guide

and monitor implementation of EBOS’ ESG Program, including

assessment and management of climate-related impacts, in line

with other aspects of corporate strategy.

In FY25, the Board held six regular meetings. The ESG Update,

which includes consideration of climate-related impacts, was

included on the agenda at each of these meetings.

• The Board reviews the Group’s strategic risk profile from time

to time. This includes climate-related risks incorporated into

specific non-financial risks such as ‘supply chain disruption’ and

‘loss of critical operations’. The Board also approves the Group’s

risk appetite statements setting out the level of risk the Group is

willing to take in relation to specific risk categories.

• The Chief Executive Officer (CEO), or a member of the executive

leadership team, reports to the Board on the Group’s ESG Update,

including climate-related performance, at each regular Board

meeting. The CEO, with input from the ESG Steering Committee,

proposes GHG emissions metrics and targets for managing

climate-related risks and opportunities which are then presented

to the Board for review, input and approval. Progress towards

achievement of these metrics and targets is reviewed at least

annually.

• The Board reviews and approves the Group’s annual Climate

Statement, as well as the climate risks and the transition plan

incorporated within the Climate Statement.

• The Board approves the Group’s Carbon Reduction Plan (CRP)

which is reviewed periodically and monitors certain metrics

and targets.

• Whenever applicable, the Board intends to consider climate-

related impacts of all material investments, including mergers

and acquisitions and investments in infrastructure and physical

assets with technical or economic lifespans exceeding five years.

Board materials for these investments will include a statement

on relevant climate-related risks and opportunities. For assets,

Board materials will include the expected impact on Scope 1 and

2 emissions.

In addition to considering climate-related impacts of material

investments, the Board considers climate change impacts as

part of the Group’s broader responsibilities to the communities

we serve, as documented in our annual report. The annual report

is also reviewed and approved by the Board. Climate change

considerations fall within the Community and Environment pillar of

our ESG Program, together with other material topics.

Role of the Audit and Risk Committee

The Audit and Risk Committee (ARC) is a committee of the Board

and is made up of a subset of members of the Board. In accordance

with its Charter, the ARC assists the Board in exercising due care,

diligence and skill for identifying and monitoring material business

risks, including climate risks.

The ARC had three regular meetings in FY25. The CEO and Chief

Financial Officer (CFO) report to the ARC on strategic risks,

including climate-related risks as relevant, at every regular ARC

meeting. Through this reporting, the ARC monitors the Group’s

strategic risk profile and the implementation of risk appetite levels,

which it reports back to the Board.

The ARC also reviews, and recommends for approval, the Group’s

annual Climate Statement.

2.2 Board training and competence

The Board undertakes appropriate training as set out in the

Corporate Governance Code. Formal training on climate risk

(approximately every two years) supports Board members to keep

up to date about the evolving climate-related risk and opportunity

landscape and the company’s obligations regarding climate risk

reporting. Additional ad-hoc training will be provided in response to

major new developments, as required.

The Board skills matrix reflects Board members’ experience in

developing and overseeing environmental and social responsibility

agendas, and specifically, programs related to climate risk.

2.3 Management of climate-related risks and opportunities

At a management level, the CEO and CFO report to the Board

and the ARC on how the Group’s material business risks are being

managed effectively and updates the risk rating of strategic risks

on an ongoing basis. This includes reporting on climate risk as

required. Management presents proposed changes to risks and risk

ratings to the Board, or the ARC, as required.

The CEO has delegated responsibilities for executive management

of the identification of the Group’s climate-related risks and

opportunities to the ESG Steering Committee, chaired by the

Executive General Manager Strategic Operations, ESG and

Innovation.

In accordance with its Charter, the ESG Steering Committee is

composed of executive leaders of the Group’s major business

functions with responsibility for the ESG Program (Figure 1). The

ESG Program comprises various sub-strategies focused on material

topics identified and refined through stakeholder engagement.

In FY25, the ESG Steering Committee met eight times to monitor

the implementation of the ESG Program, including climate-

related metrics, targets, risks and opportunities. It recommends

improvements for the ESG Program and related management

processes, as needed, to the CEO, ARC and Board. These are

the key formal mechanisms for management to be informed

about, make decisions on and monitor climate-related risks and

opportunities.

The ESG Steering Committee oversees the preparation of the

Group’s annual Climate Statement in compliance with relevant

legislation. The Climate Statement is reviewed by the Group CEO

and CFO prior to being presented to the ARC for review and Board

for approval.

2.4 Remuneration

While progress in relation to the Group’s ESG Program is factored

into the determination of the CEO short-term incentive outcome,

climate-related performance metrics are not currently specifically

incorporated into the Group’s executive remuneration policies or

approaches. We intend to consider from time to time if climate-

related targets should be included in executive remuneration with

due consideration of the materiality of identified risks and the

Group’s performance against plans and targets. There is no change

compared to the prior reporting period.

2. Governance

6
EBOS Climate-related Disclosure for FY25

Figure 1: Organisational Structure and ESG Steering Committee composition in FY25

Chief Risk

Officer

LifeHealthcare

General Manager

– Legal Risk &

Compliance

Head of

Communications and

Corporate Affairs

Executive General

Manager HR

Corporate

Communications

Manager

Head of Investor

Relations

Executive

General Manager,

Healthcare Logistics

Australia

Group CEO

ESG Steering Committee

(Chairperson – Executive General Manager,

Strategic Operations, ESG and Innovation)

Audit and Risk Committee

Board

General

Counsel

Chief Strategy

and Corporate

Development

Officer

Animal Care

Head of R&D &

Innovation

7
EBOS Climate-related Disclosure for FY25

This section describes current and anticipated impacts of

climate change referencing the Group’s climate scenario

analysis, identification of climate-related risks and opportunities,

and positioning with respect to a global and domestic transition

toward a low-emissions, climate-resilient future.

The content of this section reflects findings from a standalone

climate scenario analysis, which included a climate risk and

opportunities assessment.

3.1 Current impacts

Current climate-related impacts for the Group fall into two

categories:

• Physical impacts arise directly from climate system changes.

These can be further distinguished between event driven

exposures, which are referred to as acute risk, and longer-term

shifts in climate patterns, which are referred to as chronic risk.

In FY25 the Group experienced acute physical weather-related

events that could be attributed to climate change during the

reporting period; however, none had an impact we consider to be

material.

• Transitional impacts arise as regulators, customers, business

partners, local communities and the economy at large, adapt to

climate change by transitioning to a lower-carbon future. This

process is likely to involve changes in technology and the market

availability of products and services as well as new regulations

and evolving customer demands. The Group has not experienced

any material climate-related transition impacts in FY25.

When assessing materiality, we evaluate both quantitative and

qualitative factors. The quantitative threshold we use for current

impacts is aligned with the financial materiality principles

applicable to the preparation of our financial statements.

EBOS has not experienced climate-related physical or transition

impacts it considers material, or financially material, in the

reporting period.

3.2 Scenario analysis

The Group’s scenario analysis was conducted in FY23. For this

analysis, short-term was defined as 1-3 years to 2025, medium-

term as 3-10 years to 2050 and long-term as 10-30 years to 2050.

The analysis considered three scenarios based on Representative

Concentration Pathways (RCPs) and Shared Socioeconomic

Pathways (SSPs) sourced from the Intergovernmental Panel on

Climate Change (IPCC) Fifth Assessment Report (Table 1).

Our 1.5-degree Celsius scenario is based on RCP 2.6 and our

3-degree scenario on RCP 8.5. For our third scenario we have

chosen a 2-degree scenario based on RCP 4.5. We selected these

scenarios as they outline a broad range of possible and generally

well-documented futures over multiple horizons that encompass

the whole Group’s operations.

Overseen by the Board and managed by the ESG Steering

Committee, a scenario analysis was undertaken in consultation

with external advisors and a selection of internal management

stakeholders. The outcome of this stand-alone exercise was

reported to the ARC and was consistent with information provided

by our insurers.

A diagram of the program of work is depicted in Figure 3 –

Tools and Methods used for Scenario Analysis.

3. Strategy

8
EBOS Climate-related Disclosure for FY25

Physical climate scenarioRCP 2.6RCP 4.5RCP 8.5

Description

Considered the best case for

limiting climate change impacts,

this scenario requires a major

turn-around in climate policies

and concerted worldwide

actions to reduce GHG emissions

drastically. Global mean surface

temperature continues to rise

but is projected to stay below

two degree Celsius above pre-

industrial levels.

An intermediate scenario that

assumes a stabilisation of GHG

emissions by 2050 and declining

afterwards. Global mean surface

temperature continues to rise and

is projected to reach two degrees

Celsius above pre-industrial levels.

Representing a possible worst-

case scenario with a continued

rise in GHG emissions past 2050.

Global mean surface temperature

continues to rise and is projected

to exceed two degrees Celsius

above pre-industrial levels.

Socio-economic scenario

SSP1: Sustainability-focused

growth and equality.

SSP2: Trends broadly follow

historical patterns.

SSP5: Unconstrained growth in

economic output.

Low challenges for mitigation

(resource efficiency) and

adaptation (rapid development).

Intermediate challenges.High challenges for mitigation

(regionalised energy and land

policies) and adaptation

(slow development).

Global GHG trajectory

Net zero by 2050.Stabilisation by 2050, declining to

net zero thereafter.

Continued rise

Global temperature

outcomes

>1.5 °C with limited overshoot

(Paris Agreement goal achieved).

>2°C and <= 3°C>3 °C

Physical impacts

Supply chain and operational

disruptions from climate hazards.

More significant disruptions from

more extreme climate hazards.

More frequent and severe

impacts increasing over time.

Transition impacts

Trend towards localisation of

production and smooth adoption

of low-carbon technologies.

Most significant of all scenarios.

Delayed, rapid, disorderly, and

costly transition.

Mixed impacts. Rising demand

for healthcare. Supply chain and

market disruptions.

Political context

Strong mitigation and adaptation

policies. Compliance with

effective climate mandates.

Slow initial response followed

by disorderly implementation of

more severe climate mandates.

Focus on health, education, and

institutions. Uncoordinated and

reactive on climate adaptation.

Social context

Progressively aging population

(Australia and New Zealand) with

moderate growth and moderate

immigration.

Increasing social division. Aging

population with higher growth

driven by immigration.

Higher population growth driven

by immigration. Increasing

urbanisation and rising burden of

climate-related disease.

Technological context

Rapid development and uptake of

affordable green technologies.

Slower development of green

technologies at higher cost.

Productivity-enhancing fossil

fuel dependent technologies

maximising production.

Economic context

Creation of new green jobs.

Incentives for localisation. Good

access to finance for firms with

strong ESG credentials.

Rising trade protectionism.

Increasing cost of finance.

Economic instability.

Higher economic growth. Strong

investment in health, education,

and institutions.

Energy pathways

Increasing renewables, declining

reliance on coal and fossil fuels.

Historical patterns continue.Energy-intensive, increasingly

fossil fuel-based growth.

Nature-based solutions

Effective international

cooperation on land use,

including deforestation and

agriculture.

Limited efforts on deforestation

and agriculture.

Continued deforestation.

Negative emissions

technologies

Some reliance on negative

emissions e.g. bioenergy with

carbon capture and storage.

Low reliance on negative

emissions.

Not applicable.

Table 1: Overview of climate scenarios

9
EBOS Climate-related Disclosure for FY25

As our strategy continues to develop, we are evaluating climate

hazards under each scenario impacting the Group’s operations

across Australia and New Zealand (Table 2) using historical data

and forward-looking projections from local data sources (e.g.

NIWA for New Zealand and Bureau of Meteorology and CSIRO for

Australia). Where such data is not readily available, we refer to

reputable sources such as the World Resources Institute (WRI) and

peer-reviewed scientific journals.

Additionally, we have cross-referenced our scenario analysis with

the Climate Change Impact Reports from one of our insurers.

We did not undertake any modelling.

The below table shows projected climate hazards arising from all climate scenarios assessed in the scenario analysis to date.

Australia New Zealand

Heatwaves

More extreme heat events

Greater frequency of very hot days in summer

Not identified

Temperature

Rising mean temperature - particularly New South

Wales (NSW)

More extremely hot days

Fewer extremely cool days

Extreme heat may trigger bushfires

More hot days

Bushfires

More days with extreme fire danger –

specifically NSW, Western Australia (WA)

Not identified

Drought

Declining rainfall, especially in the cool season –

specifically WA, Victoria (VIC), South Australia (SA),

Queensland (QLD) and Tasmania (TAS)

Increasing duration of droughts

Increasing frequency and duration of extreme

droughts

Not identified

Precipitation

Increasing frequency and intensity of extreme

rainfall events – specifically QLD, VIC

Increase in rainfall intensity – particularly Auckland

Wind

Increasing wind speeds associated with tropical

cyclones, winter storms, thunderstorms and

tornados – specifically TAS, VIC, WA, NSW

Not identified

Sea-level rise

Increasing risk of coastal flood – specifically QLD,

SA, VIC

Increased risk of coastal flood – particularly

Wellington

Table 2: Overview of projected climate hazards

3.3 Climate-related risks and opportunities

3.3.1 Risks

Table 3 contains the identified headline climate-related risks for the

Group with an indication of ‘Exposure to threat’ and ‘Value chain

vulnerability’.

The Group’s business and distribution network is characterised by

low-to-moderate climate-related vulnerability. Notwithstanding

this, we continue to systemically evaluate operational risks, such

as wildfire and flooding, including the disruption of such events

to transport and utility services, for all key existing properties,

relocations and new developments. These assessments ensure that

appropriate mitigation measures are in place, including insurance,

backup systems, critical communications and fire protection.

Management evaluated potential impacts of the risks over three

time horizons. These time horizons align with published information,

insurer assessments and internal strategic planning horizons:

• Short-term (3 years to 2029)

• Medium-term (2029 to 2030)

• Long-term (2031 to 2050)

EBOS undertakes an annual strategic business review for a 3-year

period which aligns with the short-term horizon. Medium and long-

term horizons particularly apply to capital projects that could have

an economic and technical life of up to 20 years (up to 50 years

for real estate). These horizons could also apply to property leases

that may have renewal options meaning that the total term of such

leases could be up to 25-30 years.

The identified risks are generic and have general application to all

business units in all geographies.

10
EBOS Climate-related Disclosure for FY25

CategoryHeadline riskRisk assessmentTime horizonMateriality

Exposure

1

Vulnerability

2

ShortMedium Long

1Physical

(Acute)

Damage to EBOS assets/stock

from extreme weather events

FY24:

Moderate

FY25: High

3

Moderate

✔✔✔

Assessment

in progress

2Physical

(Acute)

Disruption to supply chain from

extreme weather events

FY24:

Moderate

FY25: High

4

Low

✔✔✔

Assessment

in progress

3Physical

(Acute)

Increasing resilience needs for

existing and new sites

FY24: Low

FY25: Low

Low

✔✔✔

Assessment

in progress

4Transition

(Market)

Increased cost and reduced

access to insurance

FY24: High

FY25: High

Moderate

✔✔

Assessment

in progress

5Transition

(Legal)

Increased public sector

requirements to compete

FY24: High

FY25: Low

5

Moderate

✔✔

Not

quantifiable

6Transition

(Social)

Reputational risk associated

with ‘greenwashing’

FY24:

Moderate

FY25: High

6

Low

✔✔

Not

quantifiable

Table 3: Climate-related risks

Table notes

1. Exposure to threat (% of EBOS value chain exposed): Low 0-25%; Moderate 25-50%; High 50-100%.

2. Value chain vulnerability (likelihood of value chain being adversely affected): Low – Low likelihood; Moderate – Moderately likely; High – High likelihood. Unless indicated

otherwise, vulnerability is unchanged from FY24.

3. The FY25 exposure is aligned with Climate Risk Exposures as per Table 5.

4. The FY25 exposure is adjusted to reflect that supply chains are complex, interrelated with poor transparency; notwithstanding that the diversified nature of the Group

provides options to limit impact, refer to section 3.4.2.

5. The FY25 exposure is adjusted and now based on the relative contribution of the public sector Gross Operating Revenue (GOR) to total GOR, refer to section 3.4.3.

6. The FY25 risk assessment exposure for this risk increased from FY24.

11
EBOS Climate-related Disclosure for FY25

Materiality Assessment

The scenario analysis conducted in FY23 identified sixteen risks

which we referred to in our FY24 Climate Statement.

During FY25, we undertook further work to assess the materiality

of the risks identified. Assessed risks were documented with

appropriate impact and quantification methods, then reviewed and

assessed during a workshop with relevant business representatives.

The workshops were facilitated by an independent external risk

expert.

As set out above, EBOS is relying on Adoption Provision 2 of

NZCS 2 for its FY25 Climate Statement, meaning it is exempt from

disclosing the anticipated financial impact of climate-related

risks and opportunities and the time horizons over which the

risks and opportunities are expected to occur. EBOS continues to

build processes to assess and quantify these impacts as part of

assessing the materiality of the identified risks.

Our initial focus for this work in FY25 was on determining

whether the reasonably anticipated impact would be material.

Our approach to assessing materiality is to consider whether

the reasonably anticipated impact, or the way in which that

information is presented, could influence the decisions of primary

users of our Climate Statement. Our approach to materiality

is broadly consistent with the financial materiality principles

applicable to the preparation of our financial statements,

which includes a quantitative and qualitative assessment.

Assessment of Complex Risks ongoing

As shown in Table 3, we are continuing to assess the impact of four

more complex risks, including if the impact is likely to be material,

and have engaged a sector specialist for property and insurance

related risks. For supply chain related risks, we continue to assess

supplier concentration risks.

Unquantifiable Risks

The anticipated impacts of two of our transition risks, listed in

Table 3 cannot currently be quantified with sufficient certainty.

We set out further comments on these risks in Table 4. The listed

items comprise additional considerations within existing risks

categories, such as reputational and regulatory risks, and the risk

of product or service obsolescence. The Group has established

processes in place to manage these risks, including disciplines to

ensure that our products and services remain current. Examples

include legal reviews to manage reputational risks and ensure

legal compliance, and reviews of success rates in securing new

contracts, including public sector contracts. These additional risks

considerations are managed as part of the Group’s ordinary risk

management processes.

When considering the materiality of identified risks, we can

reasonably assess and manage the impact of current and

foreseeable exposures, but unspecified and speculative future

exposures cannot be quantified, especially when these are outside

our strategic planning horizon. While policies, procedures and

disciplines will evolve, the Group does not currently require a

separate transition or adaptation strategy specifically for these

climate-related risks.

Transition RiskRisk description and anticipated impactComments

Increased public

sector requirements

to compete

Increased Government focus on

sustainability and reducing carbon

emissions, could lead to the introduction

of sustainability criteria required to

take part in Government tenders,

resulting in cost increases to comply and

increased resource constraints to meet

requirements.

Based on published materials, we believe the Group is well positioned

to accommodate public sector requirements should they arise, and do

not anticipate a material impact.

However, we are unable to assess the likelihood of additional policy

developments, the nature of them, and the importance put on them in

the vendor selection process relative to other considerations, including

commercial ones.

For example, Symbion distributes medicines around Australia in

return for access to a pool of government funding that subsidises the

distribution of pharmaceuticals to rural and remote parts of Australia.

While not currently anticipated, the introduction of climate-related

obligations could result in restricted or no access to that funding or

increased costs to comply with such obligations.

Managing public sector requirements, including climate-related

requirements, is an existing discipline and is not subject to a separate

transition or adaptation plan.

Reputational risk

associated with

‘greenwashing’

Unsubstantiated sustainability claims

or changing sustainability expectations

from the market or customers /

consumers, could lead to accusations

of greenwashing relating to EBOS and

the products it distributes, resulting in

reputation damage with customers and

consumers, constrained access to debt/

capital markets and increased legal

exposure.

The regulatory landscape remains dynamic with changes in climate-

related policies, laws, stakeholders and market practice in the markets

in which the Group operates. There is also uncertainty associated with

potential litigation and a lack of relevant benchmarks for potential

fines related to climate change-related matters such as greenwashing.

The Group has in place policies and procedures to ensure compliance

with laws and regulations, including the review of claims and

disclosures regarding matters such as climate-related risks. While

these policies and procedures will evolve, the Group does not currently

consider a separate transition or adaptation strategy is required

specifically for these climate-related risks.

Table 4: Unquantifiable transition risks

12
EBOS Climate-related Disclosure for FY25

3.3.2 Opportunities

The scenario analysis conducted in FY23 identified eleven potential

opportunities which we referred to in our FY24 Climate Statement.

In FY25, we undertook further work regarding these opportunities,

including seeking input from the management teams under a

process conducted by the ESG Steering Committee. Using the same

materiality threshold for risks (as above), none of the opportunities

were considered currently material.

EBOS may stand to benefit from climate-related transition

opportunities associated with the timely and cost-effective

transition to a low-carbon future, however, we do not consider any

EBOS business activities to be uniquely aligned with future climate-

related opportunities. Notwithstanding this, we continue to monitor

potential climate-related opportunities that may arise as part of

our ‘business as usual’ disciplines and in the context of our ESG

Program.

3.4 Anticipated impacts

3.4.1 Physical climate-related risks to assets

In relation to acute physical climate-related risks to our assets,

we use the Climate Resilience Tracker issued by our insurer for key

facilities to identify locations most impacted by climate change.

The Climate Resilience Tracker combines ‘engineering data

from site visits with the latest insights into climate change’ and

‘evaluates climate change impacts on perils using three climate

change scenarios (RCP 2.6 RCP 4.5 and RCP 8.5) and global climate

model projections for two future periods: short-term (2021-2040),

and long-term (2041-2060)’. Table 5 provides a summary of the June

2025 report covering 35 key facilities. Key facilities are defined as

facilities visited and audited by the insurer in the past five years.

The insured value of these key facilities represents 95% of the total

insured value of our portfolio

3

. All facilities owned or leased are

insured.

The Climate Resilience Tracker has replaced the Climate Change

Impact Report used in our FY24 Climate Statement. The new format

focusses on event-driven climate risks (Flood, Hail, Wildfire and

Wind) instead of acute climate risk exposures, such as ‘Extreme

precipitation’ and ‘Wind’.

For the chronic risk ‘Sea level rise’, we have used the same definition

as the prior period and there are four facilities that are exposed.

These are all leased and none of them are owned by EBOS. One of

the four exposed sites is exposed to both flood and sea level rise

with the remaining three not having reported flood exposures.

Exposures are location based. For example, sites in New South

Wales are more exposed to hail and sites in Queensland are more

exposed to wind. Flood and wildfire exposure is mostly related to

local factors and sea level rise exposure to proximity to coasts and

elevation. One site can have more than one exposure.

The variance between the current and previous reporting period

relates to changes in the way third-party information is presented

and how the risks are assessed by the third party, as well as

portfolio and key facilities changes.

3

The sum of coverage for property value and business interruption.

Prior Reporting Period (FY24)Current Reporting Period (FY25)

Climate risk# of sitesExposed value

4

# of sitesExposed value

4

Acute risks

Flood

1

58.0%815.3%

HailNot reported535.4%

WildfireNot reported420.3%

Wind

2

28.2%39.5%

Chronic risks

Sea level rise

3

412.2%412.6%

Total (unique facilities

5

)Not reported1767.3%

Number of key facilities 33 key facilities35 key facilities

Table 5: Current physical climate risk exposure to EBOS sites

Table notes

1. In FY24 this was reported as exposure to extreme precipitation.

2. In FY24 this was reported as exposure to wind.

3. Locations situated in coastal flood zones defined as a region with less than 10m terrain elevation above mean sea level and within 60 miles of nearest coastline.

4. Exposed value is the proportion of the Total Insured Value (property value and business interruption value) of the included key facilities considered exposed.

5. A single site can be exposed to more than one risk and the number of unique sites is less than total of exposures by site.

13
EBOS Climate-related Disclosure for FY25

3.4.2 Impact of supply chain disruption

Supply chain disruptions have occurred, and will continue to occur,

for many reasons, including geopolitical events. However, these

typically do not have an impact we would consider material.

EBOS is a diversified business distributing a wide range of

products from many suppliers which reduces the risk of supply

chain disruptions, provided alternatives can be sourced. Climate-

related disruptions are anticipated to be mostly localised and

of relative short duration, and, if that is the case, we do not

anticipate these disruptions to have a lasting or financially material

impact. However, significant damage to physical infrastructure,

including manufacturing capacity, could be long-term, with the

impact difficult to assess or quantify accurately. We are currently

reviewing, where practical, which climate-related events could have

an impact.

3.4.3 Transition risks

The exposure of two of our identified climate risks, being ‘Increased

public sector requirements to compete’ and ‘Evolving regulatory

and customer/consumer expectations’ for specific business

segments, is considered low on the basis that each contribute

less than 25% of total GOR. Ensuring compliance is an existing

discipline, as is making sure that our services and products are

current, meeting customer and consumer needs and expectations.

All business activities of the Group are exposed to ‘Reputational

risk associated with ‘greenwashing’’, however managing additional

legal compliance and reputation risk, to manage this risk, is not

considered material.

More broadly, input costs, including costs associated with capacity

constraints, are vulnerable to climate-related cost inflation,

should this occur. For the wholesale and distribution businesses

(95% of Group revenue and 85% of GOR), freight costs are the

largest operating expense after labour and particularly relevant.

However, these potential inflationary increases are currently

not anticipated to be material for EBOS, given that any climate-

related cost inflation is expected to be industry-wide, to impact all

market participants similarly and unlikely to create a competitive

advantage or disadvantage for any individual operator.

3.5 Transition planning

EBOS is a diversified Australasian marketer, wholesaler and

distributor of healthcare, medical and pharmaceutical products

and a leading marketer and distributor of recognised animal care

brands. Our core business offering is to aggregate and supply

healthcare and animal care products.

The Group’s GOR is derived predominantly (85%) from providing

wholesale, distribution and contract logistics services as well

as franchisor income. We value our relationship with suppliers,

however, the Group’s strategic reliance on specific products, and

therefore, specific suppliers, is limited. Products can often be

substituted, and we are often guided or required by others, such as

regulators and customers, on what products we need to range and

supply. We compete on service aspects such as delivery in-full and

on-time and supplying a broad range of products. Many products

are subject to a regulated price, so price negotiations are limited.

We receive a distribution fee, a service fee or a markup on a list

price in compensation for services provided.

The Group’s remaining GOR (15%) is derived from EBOS-own brand

products we create, including pet food and treats, toothpaste,

medicines, over-the-counter (OTC) products, medical consumables,

medication aids and software solutions. These products are

developed, processed or manufactured by the Group, or sourced

under licence or contract manufactured.

Figure 2: Split of Gross Operating Revenue between key

business activities

252

1,385

GOR derived from providing predominantly wholesale,

distribution and contract logistics services, and franchisor

income.

GOR derived from products we create carrying EBOS-own

brand, including pet food and treats, toothpaste, medicines,

over-the-counter (OTC) products, medical consumables,

medication aids and software solutions.

FY25 Gross Operating Revenue (GOR) $ millions

EBOS Climate-related Disclosure for FY25
14

The fitness of our distribution network will continue to be a key

focal point for the Group’s corporate strategy. We must ensure our

plans to reduce GHG emissions meet the reasonable expectations

of our stakeholders, including employees, customers, suppliers and

governments.

In relation to reducing our Scope 1 and Scope 2 GHG emissions, we

are developing and implementing our carbon reduction plan in line

with the following principles:

• Prioritising actions based on materiality and influence of control;

• Reducing emissions through energy efficiency improvements;

• Generating onsite renewable electricity;

• Switching to electrification to replace fossil fuels in certain

stationary and transport applications, where technically and

commercially feasible; and

• Acquiring offsets to balance residual Scopes 1 and 2 GHG

emissions.

In future we will look at options to reduce third party transport

emissions. Presently, EBOS is exploring an initial internal pilot to

reduce vehicle emissions.

Capital has been allocated to the solar array and reforestation

initiatives (Table 6, initiatives 2 and 5). This is key to reducing our

reliance on procured offsets for Scopes 1 GHG emissions and our

Scope 2 GHG emissions reduction targets in the future. Capital for

other initiatives, including investments in climate resilience, will be

allocated using established approval processes evaluating costs

versus benefits.

Where GHG reduction benefits need to be quantified, we intend to

use an internal carbon price. For example, replacing equipment at

the end of its technical or economic life with a less GHG emissions

intensive alternative (see e.g. Table 6, initiative 3) could require

an additional capital outlay. This additional capital cost will be

evaluated against the benefit of reduced GHG emissions at the

internal carbon price.

When evaluating sustainability-related investment decisions,

we use an internal carbon price set at AU$40 per tonne for the

reporting period. This is unchanged from FY24. This carbon price

is also used as a proxy for economic value when quantifying the

financial impacts of climate-related risks.

We do not consider capital currently deployed, allocated or planned

to reduce climate-related risks or GHG emissions to be material.

This is unchanged from FY24.

Specific key initiatives are listed in Table 6. These range from

initiatives specifically linked to climate-related risks to those with a

broader focus such as reducing GHG emissions and alignment with

anticipated stakeholder expectations and regulatory requirements.

15
EBOS Climate-related Disclosure for FY25

Table 6: EBOS’ transition plan progress to date

Reduce reliance on fossil fuels

IDInitiativeSector/ EBOS businessDescription and status

1Performance

efficiencies –

drive down energy

use KPIs

Manufacturing/

wholesaling/ distribution

We set a target for our distribution facilities to reduce our grid-supplied

electricity per square metre (sqm) of floor space (GLA – Gross Leasable Area)

by 15% against a FY21 baseline. For FY25 we achieved a 12.3% grid-purchased

electricity efficiency improvement per sqm against the FY21 baseline and

therefore did not meet our target in FY25. The electricity consumption per GLA

improved from 76.9 kWh/sqm for FY24 to 75.4 kWh/sqm for FY25, a pleasing 2%

reduction from FY24.

The improvements were primarily from opening new, more efficient, facilities

and closing less energy-efficient facilities and we expect the result to

progressively improve as new facilities become operational. Only facilities that

were operational for the whole reporting period were included in the measure,

meaning the impact is not immediately visible in the reported metrics. On a

like-for-like basis, e.g. excluding new acquisitions, we will aim to achieve the

15% target in FY27.

In FY25 we completed a revised Energy Reduction Plan aimed at further

decreasing our grid-supplied electricity consumption. This Plan focuses

on sites with the highest energy use or intensity, such as usage per square

metre or unit output. Identified opportunities include increasing onsite solar

electricity generation, optimising HVAC and refrigeration equipment, and

enhancing the efficiency of machinery and automation system.

2Alternative energy

sources –

renewables

Manufacturing/

wholesaling/ distribution

We are looking to change the way we procure and use electricity in Australia

by self-generating solar power. We are investing in a large solar array to

generate the equivalent of our Australian energy consumption at our Parkes

pet food manufacturing facility in NSW. In FY24 we completed a 500kW roof-

mounted solar array and no further capacity was added during the current

reporting period. However, we have shortlisted a supplier to progress with

the installation of a 5MW ground-mounted solar array. During the current

reporting period, we also updated our forecast for our Australian electricity

consumption and aligned generation capacity with this reduced consumption

forecast, after also incorporating distribution model changes and anticipated

performance efficiencies. The next and final 5MW ground-mounted solar

array is expected to be completed during FY27.

Since FY24, the Group has acquired New Zealand Renewable Energy

Certificates (RECs)

4

for each year which match the amount of electricity

consumed at EBOS’ facilities in New Zealand.

We procure ‘Greenpower’

5

accredited renewable electricity in relation to the

electricity consumed at three of our facilities in Australia.

3Fuel switch –

fossil fuels to

electrification and

biofuel

Manufacturing/

wholesaling/ distribution

We are planning to transition away from using fossil fuels at our

manufacturing and distribution facilities by progressively replacing existing

fossil fuel powered equipment with low/zero GHG emission equipment

(e.g. run on electricity or biofuels), where it is available and technically and

commercially viable, taking into account the useful life of existing assets.

Our largest Scope 1 GHG emissions source is manufacturing equipment,

which is not at the end of its useful life (which remains the same as FY24).

However, we largely completed the transition to electric Materials Handling

Equipment (MHE), phasing out a small number of forklift trucks fitted

with combustion engines during FY25. A small number of MHE remain to

be converted – these are located at sites that were part of acquisitions

undertaken in recent years.

4

EBOS’ RECs were procured from Meridian Energy Limited – www.meridian.co.nz and Lodestone – www.lodestoneenergy.co.nz

5

Greenpower is an Australian government accredited renewable energy product offered by most electricity retailers to households and businesses in Australia.

For more information see https://www.greenpower.gov.au/

16
EBOS Climate-related Disclosure for FY25

Table 6: EBOS’ transition plan progress to date

Reduce reliance on fossil fuels

IDInitiativeSector/ EBOS businessDescription and status

4Fuel switch –

zero or low emission

vehicles

Wholesaling/ distributionWe are assessing and intend to pursue commercially viable options to support

selected service providers in their transition to lower emissions vans and

small trucks, including electric alternatives. This initiative is dependent on

third-party service providers choosing to replace their vehicles. Our phased

and gradual approach recognises that assets have their economic and

technical life cycles. The conversion to low or zero-emission freight vehicles

on a meaningful scale is not yet considered to be commercially or technically

feasible and, while supplier engagement continues, there is no substantial

change compared to FY24.

Carbon removals and offsets

5ReforestationManufacturing/

wholesaling/ distribution

In FY25, EBOS made progress towards establishing our own reforestation

project that will be implemented and managed by Greenfleet. We purchased

a property in South Gippsland, Victoria with a potential planting area of

approximately 94 hectares. Track works commenced in March 2025 to

facilitate access to the property. We are now working on boundary fencing

and weed management with a view to starting new planting of native tree

species in early FY26.

6GreenfleetManufacturing/

wholesaling/ distribution

EBOS continues to enjoy a longstanding partnership with not-for-profit

environmental organisation, Greenfleet. Since 2007, we have offset a significant

share of outbound transport emissions from our operations by donating

over $2.4 million in support of Greenfleet’s important work to revegetate

native landscapes and restore biodiverse habitats. From our FY25 donations,

Greenfleet will plant trees that are expected to sequester 20,088 tCO

2

e during

their lifecycle, which is an increase of 10% on the prior reporting period.

7Offset –

acquiring and retiring

carbon credits

Manufacturing/

wholesaling/ distribution

For FY23, FY24 and FY25 we acquired and retired 2,984, 3,530 and 3,343

ACCUs respectively, offsetting all reported Scope 1 emissions. The acquired

offsets for FY25 represent a 5% decrease compared to the prior reporting

period. Refer to note 1 Table 9 (Targets) for further information regarding the

purchase of ACCUs.

Where available, we plan to use renewable energy certificates to reduce

reported market-based Scope 2 GHG emissions. We plan to use credible

carbon credits to offset all reported residual Scope 1 emissions and market-

based Scope 2 GHG emissions. Refer to note 1 Table 9 (Targets) for further

information regarding the purchase of ACCUs.

Climate resilience

8Resilience of

our fulfilment

infrastructure

Manufacturing/

wholesaling/ distribution

We are undertaking a climate focussed risk review of a number of key facilities

across New Zealand and Australia to validate current, and gain new, risks

insights. The new insights may result in changes to our existing practices and

are also inputs to assessing the materiality of risks relating to asset damage

(Table 3 risk 1), climate-related resilience needs (Table 3, risk 3) and insurance

cover (Table 3, risk 4).

9Resilience of our

Supply Chain

Manufacturing/

wholesaling/ distribution

EBOS is a diversified business distributing a wide range of products from

many suppliers which means that often alternatives can be sourced in

case of supply chain disruptions. Furthermore, many of the products we

distribute are supporting public health meaning public and industry support

and corporation is available to restore supply chains. Supply delays from

short term physical events are unlikely to have a material impact, however

significant damage to physical infrastructure, including manufacturing

capacity, could be long-term and hard to assess or quantify accurately.

We intend to focus on assessing key supplier concentration risks for finished

products and input materials for manufacturing to understand the impact

from climate-related supply chain disruption.

17
EBOS Climate-related Disclosure for FY25

This section describes how climate-related risks are identified,

assessed and managed and how those processes are integrated

into our existing risk management processes.

4.1 Climate-related risk management processes

Climate-related risks are incorporated into the Group’s assessment

of strategic risks and proportionately prioritised compared to other

risks. We used the climate scenario analysis as the assessment

tool to assess the Group’s climate-related risks and opportunities

in FY23 (Figure 3). The scope of this assessment did not explicitly

exclude any part of the value chain.

To address the scale and diversity of our activities across

Healthcare and Animal Care, impacts for individual business

segments are consolidated up to a Group level.

The outcomes of this assessment were reported to the ARC and the

Board. We commenced assessing the materiality of identified risks

and opportunities during FY25 and aim to complete this in FY26,

as well as quantify the financial impact as required, unless the

impact is not material or unquantifiable. From FY26 onwards,

the ESG Steering Committee is committed under its Charter

to conducting an annual review of climate-related risks and

opportunities. It is anticipated that the Group will engage an external

provider to support the review approximately every three years.

As described below, climate-related risks are incorporated into

the Group’s assessment of strategic risks based on likelihood and

consequence.

4.2 Overall risk management processes

The Group’s Risk Management Policy outlines measures

implemented by the Group to ensure appropriate management of

material risks across the business. Risk management is defined as

the identification, assessment and treatment of risks that have the

potential to materially impact the Group’s operations, people and

reputation, financial prospects, environment and communities in

which we work. The Policy outlines the roles and responsibilities of

the Board, ARC and Management to achieve these objectives. In

assessing climate-related risks, we adopt the same time horizons

as for our scenario analysis, detailed in section 3.3 – Climate-

related risks and opportunities.

We assess the significance of material risks in the Group’s

strategic risk profile, which was last reviewed in August 2025,

using a likelihood and consequence matrix. Climate-related

impacts contribute to specific non-financial risk factors such

as ‘Supply chain disruption’ and ‘Loss of critical operations’.

Outcomes of the climate scenario analysis and insurance

assessments support are consistent with the Group’s strategic

risk profile. We continue to review our exposure to material

environmental and social risks as part of the risk management

framework and plan to incorporate new strategic risks such as

those identified through climate scenario analysis and insurance

assessments. Building resilience, including resilience to natural

hazards and climate-related events, is an existing practice within

the Group’s property function when selecting and constructing new

distribution and manufacturing facilities.

Section 3.5 – Transition Plan, covers our approach to capital

allocation.

Identify risksReview drivers

of change

Define scope

and boundary

Develop climate

scenarios

Impact

assessment

Key activities

Document reviewIdentify

opportunities

Identify and rank

drivers of change

Define

organisational

and operational

boundaries

Develop climate

scenarios

referencing RCPs

and drivers of

change

Understand risks

and opportunities

and their impacts

Outputs

List of risks and

opportunities

List key information

to include in climate

scenarios

Specify scope of the

scenario analysis

Develop bespoke

narratives to

contextualise

analysis

Impact pathways

with qualitative

financial impacts

Areas of focus

Physical risks

Transition risks

Social

Technological

Economic

Environmental

Political

Global markets

Services and assets

Sites

Activities

RCP 2.6

RCP 4.5

RCP 8.5

Business impacts

– operations,

investments

Financial impacts –

CAPEX, OPEX, ROCE

Figure 3: Tools and methods used for scenario-based analysis

4. Risk Management

18
EBOS Climate-related Disclosure for FY25

This section describes how the Group measures and manages

climate-related risks and opportunities, including metrics and targets.

5.1 GHG emissions

We apply the operational control approach for consolidating GHG

emissions. In line with the GHG Protocol, Corporate Standard,

we include all business units within the Group over which we

have operational control, business units that are appropriately

embedded in our ongoing operations and ones that have a carbon

footprint we consider material

6

. Business units that EBOS wholly or

partially owns are disclosed in our annual reports.

For FY25 we have included all subsidiaries listed in our FY24 Annual

Report, therefore excluding acquisitions that occurred during FY25.

Also excluded are entities listed as investments in associates over

which we do not have full management control such as Animates

NZ Holdings Limited. We do not include TWC and HPS pharmacies

as we do not have operational control, but head office functions are

included.

Gross Scope 1 and 2 GHG emissions are reported in Table 7 in

accordance with the GHG Protocol, Corporate Standard. We also

report net GHG emissions, meaning emissions after acquired offsets,

carbon removals and renewable energy certificates, for further

context and relevance in relation to targets. When reporting net GHG

emissions, we report market-based Scope 2 emissions figures.

There was no material movement between the reported GHG

emission compared to FY24. Grid purchased electricity increased

by approximately 3% compared to FY24, offset by more favourable

location-based emission factors.

Table 7: GHG emissions

ItemMetricsUnit of MeasureFY24 Data*FY25 Data*Notes

1Scope 1 GHG emissionstCO

2

e3,5303,3431,2,3,7

2Scope 1 offsets (ACCUs)tCO

2

e(3,530)(3,343)4

3Net Scope 1 GHG emissionstCO

2

e00

4Scope 2 (location-based) GHG emissionstCO

2

e18,28918,2571,5,7

5Scope 2 (market-based) GHG emissionstCO

2

e16,354**15,3111,6,7

6Net Scope 1 and Scope 2 (market-based) GHG emissionstCO

2

e16,354***15,311

7Gross Scope 1 and Scope 2 (location-based) GHG emissions

intensity ratio (GHG emissions per Gross Leasable Area (GLA)

of distribution facilities at end of reporting period)

tCO

2

e/sqm GLA0.0324****0.03208

8Net Scope 1 and Scope 2 (market-based) GHG emissions intensity

ratio for GHG emissions per million dollar GOR

tCO

2

e/$ million GOR10.0**9.49

*GHG emissions (tCO2e) rounded to the nearest decimal place.

** Previous reported GHG emissions were location-based but are now restated to reflect net market-based Scope 2 emissions intensity.

*** Not previously disclosed and not subjected to independent limited assurance

**** Restated due to correction in calculation parameters. Reported value in prior report was 0.0394.

Table notes

1. 125 facilities are reported in FY25 including commissioned and decommissioned facilities but not including 23 facilities obtained during the reporting period through acquisitions.

The number of facilities as at 30 June 2025 was 133, of which we deem 92 (88.4% of GLA) distribution facilities, 8 (8.4% of GLA) manufacturing facilities, and 33 offices (3.2 % of GLA).

2. Scope 1 emissions include fugitive gases and direct emissions from consumption of gas for domestic and industrial use and material handling equipment, fuel for

generators, water pumps and fire hydrants. The emission factors are based on the Australian National Greenhouse Accounts, New Zealand Ministry for the Environment

2025. Refrigerant leakage rates are sourced from Climate Active.

3. Global Warming Potentials (GWP) values are from the IPCC Fifth Assessment Report (AR5) and the IPCC Fourth Assessment Report (AR4).

4. EBOS acquired and retired 3,530 Australian ACCUs to offset Scope 1 emissions in FY24 and 3,343 ACCUs in FY25. Refer to note 1 for Table 9 (Targets).

5. Represents gross, location-based Scope 2 emissions. Emission factors for New Zealand are sourced from the Ministry of Environment (2025). For Australia, emission factors

are sourced from the Australian National Greenhouse Accounts Factors (2024) and for ASEAN and HK, factors from the International Energy Agency (2024). The decrease in

emissions from electricity are due to updated emission factors and increased solar generation within the distribution network.

6. Represents net, market-based Scope 2 emissions. Emission factors for New Zealand are sourced from BraveTrace (https://bravetrace.co.nz/). For Australia, factors are

sourced from the Australian National Greenhouse Accounts Factors (2024). For ASEAN and HK, the factors from the International Energy Agency (2024) were used as

market-based factors were unavailable at time of reporting. In FY25 RECs matching the amount of electricity consumed by New Zealand sites (10.02GWh) was purchased,

and Greenpower (1.17GWh) for three locations in Australia.

7. Electricity and natural gas data have been calculated using electricity metering and billing data. Data gaps have been estimated. Estimated electricity is ~4.8%.

Estimated natural gas is ~0.1%.

8. Emissions intensity calculation based on Items 1 and 4 in Table 7. Only distribution facilities operational for the entire reporting year are included in the calculation to

simplify like-for-like reporting and 82 distribution facilities were included in this metric for FY25 (8 distribution facilities were commissioned during the year, but were not

operational for the entire reporting year, and so are not included). GLA or ‘Gross Leasable Area’ refers to the size of a facility in square metres.

9. GOR or Gross Operating Revenue has the same meaning as given to it in our FY25 Annual Report. In FY24 Net Scope 1 and Scope 2 location-based GHG emissions were

reported and for FY25, this has been changed to Net Scope 1 and Net Scope 2 market-based GHG emissions, to reflect the transition to renewable energy.

6

Each reporting period we will assess our organisational boundaries, and we may exclude business units not wholly owned by EBOS (insufficient operational control), business

units with less than 10 employees (FTEs), or with an immaterial carbon footprint, or recent acquisitions, defined as acquisitions made within 18 months of the commencement

of the reporting period (not sufficiently embedded).

5. Metric and Targets

19
EBOS Climate-related Disclosure for FY25

5.2 Assurance of GHG emissions

The Group’s Scope 1 and Scope 2 GHG emissions are subject

to independent limited assurance by Bureau Veritas. Scope 3

emissions are not disclosed.

5.3 Other metrics

Information on other climate-related metrics is disclosed in Table 8

and detailed in other sections of this statement. We do not currently

monitor industry-based metrics or other KPIs to measure and

manage climate-related risks and opportunities.

Table 8: Other metrics

MetricsLocation of disclosure

Assets or business activities vulnerable to transition risks See Section 3.3.1 Climate-related risks, Table 3

As shown at Table 3, between 50 – 100% of our business activities,

represented by our value chain, are exposed to two key transition risks,

being increased cost/reduced access to insurance, and increased

greenwashing risk.

Between 0 – 25% of our supply chain are exposed to increased public

sector requirements to compete.

Assets or business activities vulnerable to physical risks See Section 3.3.1 Climate-related risks, Table 3

Section 3.4.1: Current Physical Climate Risk Exposure, Table 5

As shown at Table 3, 50 – 100% of our business activities, represented by

our value chain, are exposed to two key physical risks, being damage to

EBOS assets/stock from extreme weather events, and disruption to supply

chain from extreme weather events. Between 0 – 25% of our business

activities are exposed to the physical risk of the need for increasing

resilience for existing and new sites.

Assets, or business activities aligned with climate-related

opportunities

Section 3.3.2: Climate-related opportunities

Like in FY24, none of our assets or business activities are specifically

aligned with climate-related opportunities.

Capital expenditure, financing, or investment deployed

toward climate-related risks and opportunities

Transition planning – section 3.5

Internal emissions price

Management remuneration linked to climate-related risks

and opportunities

Remuneration – section 2.4

5.4 Targets

EBOS has established its GHG emissions metrics and targets to

steer progress in limiting global warming built on international

best-practices, including Australian Standard (AS) ISO 14064

series, International Standard ISO 14040 series, ISO 14065:2013 –

Greenhouse gases and The Greenhouse Gas (GHG) Protocol. In

our view, each of our targets outline the Group’s ambition to move

progressively toward zero reported Scope 1 and 2 GHG emissions

after the deduction of offsets. This opinion has not been informed

or endorsed by any specific methodologies provided by third

parties and our targets are not science-based and therefore not

specifically aligned with limiting global warming to 1.5 degrees

Celsius.

We are currently focussed on reducing building-related Scope 1

and Scope 2 GHG emissions by improving energy efficiency and

switching to renewable energy sources in our facilities in Australia.

Since purchased electricity in New Zealand has a lower emissions

factor than in Australia, all of our top 20 sites with the highest

Scope 2 GHG emissions are in Australia. These 20 sites represent

over 80% of total Scope 2 building emissions for the Group.

20
EBOS Climate-related Disclosure for FY25

Table 9: Targets

IDMetrics and targetsTarget typeTarget yearStatusNotes

1Zero reported Scope 1 GHG

emissions after offsets each

year (Gross Scope 1 GHG

emissions minus offsets)

Absolute

emissions

reduction

Ongoing since

FY23

Achieved.1

2Reduce grid-supplied

electricity to distribution

facilities in Australia and

New Zealand (collectively)

by 15% kWH per square

metre (GLA) against a FY21

baseline

Emissions

intensity

reduction

FY25Delayed. Grid supplied electricity further

reduced to 12.3% kWH per square metre in

FY25 compared to our FY21 baseline (which

is 82% of the 15% reduction target). Refer to

Table 6, Initiative 1 for a detailed description

of our progress and expected achievement

of our electricity target.

2, 5

3Generate renewable energy

to match the electricity

consumption of all

Australian sites

Absolute

emissions

reduction

FY27Construction underway. Refer to Table 6,

Initiative 2 for a description of our progress

towards investment in solar arrays.

3, 5

4Zero reported Scopes 1 and

2 GHG emissions (market-

based) after offsets

Absolute

emissions

reduction

FY27Not yet applicable: dependent on

achievement of Targets 2 and 3 above.

4, 5

Table notes

1. During FY23, 5,500 ACCUs were acquired and retired. A further 3,000 ACCUs were acquired and retired during FY24 and 2,000 during FY25. Of these ACCUs, 2,984 ACCUs

were applied against FY23 Scope 1 emissions, 3,530 against FY24 Scope 1 emissions and 3,343 against FY25 Scope 1 emissions. One ACCU represents one tonne of carbon

dioxide equivalent (tCO2-e) that would have otherwise been released into the atmosphere under the Australian Government’s Australian Carbon Credit Unit (ACCU)

Scheme. Under this scheme, eligible projects can earn ACCUs when they reduce or avoid emissions. Eligible projects must fulfil specific eligibility criteria and are subject to

ongoing monitoring, reporting and auditing requirements.

2. Reduction in electricity intensity per square metre (GLA) of distribution facilities. Electricity intensity is measured as kWH per square metre facility size. GLA means

Gross Leasable Area and is the key metric used for determining the facility size. The target is against an FY21 baseline of 86.0 kWh per sqm. Facilities commissioned and

decommissioned during the base year and the relevant reporting years are excluded from the measurement for consistency and simplicity.

3. We are planning to self-generate electricity equivalent to the electricity consumption of all our Australian sites at our pet food manufacturing facility in Parkes, NSW,

as well as other locations.

4. Our Zero reported Scope 1 and 2 emissions target is based on market-based reporting and subject to achieving targets 2 and 3. We will rely on procuring green energy,

such as Certified Renewable Energy in NZ and may rely on acquiring and retiring offsets, such as ACCUs for residual Scopes 1 and 2 emissions.

5. There are a number of factors that may impact our ability to meet the targets set out in this Climate Statement which are described in sections 1.4 (Principles of Reporting)

and 1.5 (Risks, including in relation to targets).

5.5 Scope 3 GHG emission Targets

We have relied on Adoption Provision 4 of NZCS 2 for FY25 and do not currently disclose our Scope 3 emissions. We are currently reviewing

and establishing our Scope 3 boundaries, particularly regarding emissions associated with the extended supply chain of our finished goods

for resale (wholesaled goods). Given EBOS’ business model, we have limited control and influence over the GHG emissions of these goods.

Table 6 (section 3.5 – Transition Plan) includes a strategy to work towards reducing our third-party freight emissions, which represent a

limited subset of our Scope 3 emissions. We have chosen not to establish a target for this initiative at this time.

Signed on behalf of EBOS Group Limited by

Elizabeth Coutts

Chair

30 September 2025

Stuart McLauchlan

Director

30 September 2025

EBOS Climate-related Disclosure for FY25

Data sourced from publicly available filings. Our datasets may not be complete. Automated analysis can produce errors. If you believe any data on this page is incorrect, please contact us at hello@nzxplorer.co.nz. For informational purposes only. Not investment advice.

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