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Falco Receives Additional Comments and Questions from the Ministry of the Environment ON the Horne 5 Project

Corporate Updates

For Immediate Release TSX.V - FPC

FALCO RECEIVES ADDITIONAL COMMENTS AND QUESTIONS FROM

THE MINISTRY OF THE ENVIRONMENT ON THE HORNE 5 PROJECT

MONTRÉAL, March 3, 2025 - Falco Resources Ltd. (TSX.V: FPC) (“Falco” or the “Company”)

announces today that it has received a letter from the Direction de l’évaluation environnementale

des projets industriels et minières , at the Ministère de l ’Environnement, de la Lutte contre les

changements climatiques, de la Faune et des Parcs (the “Ministry”) regarding the Horne 5 Project

(the “Project”).

This letter includes observations regarding the application of section 197 of the Clean Air

Regulations (“CAR”), and identifies certain issues related to the Project further to the analysis of

the environmental acceptability of the Project. A comprehensive list of comments, questions and

requests for additional technical studies is also attached to the letter.

Air Quality in Rouyn-Noranda

The letter sets forth the Ministry’s position regarding its interpretation of section 197 of the CAR

to the effect that the atmospheric dispersion modeling filed by Falco does not conform to section

197 of the CAR. The Ministry considers that according to this modeling, the Project would increase

the contaminant concentration in the air of Rouyn-Noranda.

As previously disclosed by Falco, section 197 of the CAR stipulates that a project cannot be

authorized if it is likely to add contaminants to the air, the concentration of which is already higher

than the standards in force.

Currently, arsenic and other metals are present in the ambient air of Rouyn- Noranda at

concentrations presumably higher than the standards in force. As previously disclosed by Falco,

increased public and government attention to air quality in Rouyn-Noranda have already delayed

and impacted the environmental authorization process for the Project.

The results of the modeling of the projected atmospheric emissions of the Project, carried out by

a firm of seasoned experts and in accordance with the Ministry guidelines, demonstrated a

maximum contribution more than 2,000 times lower than the standard for arsenic and similar

results for other metals. Falco is of the opinion that the result of this modeling for excess metals

is zero when this result is rounded to a number with the same precision as the limit value provided

for in Appendix K of the CAR. Thus, the maximum contribution for arsenic (standard of

0.003 μg/m3) modeled at 0.00000127 μ g/m3 should be expressed as 0.000 μ g/m3 and should

be considered as resulting in no increase in the concentration in the atmosphere. The contribution

of the Project to atmospheric emissions would therefore be compliant with section 197 of the CAR.

The position taken by the Ministry requires that Falco performs an atmospheric dispersion model

demonstrating a contribution of nil (0.000∞) for metals already in exceedance in the ambient air

in order to conclude that the Project is compliant, which is scientifically impossible . The Ministry

will not recognize the fact that the Project results in a negative mass balance.

The Ministry maintains its strict interpretation despite the submissions and arguments presented

again recently by Falco. This strict interpretation therefore means that no industrial or other project

emitting contaminants already in exceedance in the ambient air could be developed in Rouyn-

Noranda in compliance with section 197 of the CAR. This reasoning would also apply to the

development of any project in other regions of Québec where contaminants in the ambient air are

already in exceedance.

The BAPE report published on January 7, 2025, concludes that the strict interpretation of section

197 of the CAR promoted by the Ministry makes it difficult to envisage the Project's compliance

with this regulation, and recommended that the Ministry initiate a reflection with respect to a more

complete and adapted integration of environmental impacts and the consideration of the mass

balance of emissions.

All in all, Falco has invested over $150 million in the Project since its inception, including for

technical studies and other expenses, the school expansion and multipurpose athletic fields and

other diverse initiatives relating to the social acceptability of the Project.

Project highlights include:

• State-of-the-art mining operations

• Use and rehabilitation of already disturbed sites (Quemont and Norbec)

• Economic benefits and job creation (900 construction jobs and 500 operations jobs)

• Recovery of critical and strategic minerals and contribution to the energy transition and

decarbonization of the economy

Issues

As previously communicated, Falco welcomed with interest the BAPE report in which the

commission of inquiry submits to the attention of the relevant decision-making bodies various

elements that require commitments, actions or modifications, which are necessary for the

issuance of government authorizations. Falco summarized its main findings in a summary of the

highlights available on its website.

In its latest correspondence, the Ministry reminded Falco that in addition to compliance with

section 197 of the CAR, the Project involves o ther major issues that could compromise its

environmental acceptability, including the preservation of surface and groundwater quality, the

impact of the choice of location of the mine tailings management facilities, the potential impacts

of the drawdown of the water table on soil subsidence and the possible impact of the project on

the radiation oncology centre located near the mining complex. The correspondence adds that,

in this context, the Ministry asks Falco to indicate its intentions regarding the continuation of the

environmental impact assessment and review process of the Project.

List of Additional Comments and Questions

The correspondence received by Falco also includes several additional questions and comments

from the Ministry, requiring numerous supplemental technical studies despite the fact that some

of these questions relate to new elements which had not been previously raised to Falco in the

past six years, and that the acceptability of the environmental impact study had been confirmed.

The correspondence reveals an approach where the Ministry continues to increase its demands

through the process by requiring technical and other documents and studies that have either

already been provided, are not reasonably necessary to conclude on the issues analyzed at this

stage of the Project or wh ich completion would generate very significant costs and delays for

Falco without certainty of results.

Management Reactions and Next Steps

Luc Lessard, President and Chief Executive Officer of Falco, commented: “Falco presented to the

Québec governmental authorities a promising mining development project for the city of Rouyn-

Noranda, the Abitibi -Témiscamingue region and Qu ébec. Falco completed technical and

environmental studies on all the sub jects required by the Ministry prior to the BAPE process,

including air quality and groundwater management, in collaboration with seasoned experts in the

various sectors concerned. The Project was structured in a way to preserve the quality of life of

the citizens of Rouyn-Noranda and ensure that the contribution of the Project to the ambient air

does not pose a risk to their health. The population of Rouyn- Noranda significantly supports the

Project, as demonstrated by the numerous briefs and testimonies submitted to the BAPE.

In the current context of increasing protectionism in the United States, the Government of Québec

must respond by reducing administrative obstacles to regional and provincial economic

development and job creation. Falco is disappointed by the limited collaboration from the Ministry

and the government to develop this collective wealth. Far from being constructive, this approach

creates an unpredictable business climate and imposes undue delays.”

Falco is evaluating with its advisors the alternatives available to it and will provide an update when

developments warrant it or when required by applicable securities laws. There is no certainty or

guarantee that the Ministry will change its position regarding the application of section 197 of the

CAR to the Project, that Falco will be able to respond to the Ministry ’s numerous additional

requests in a timely manner or that Falco will be able to raise the funds necessary to pursue the

additional studies requested by the Ministry, which could significantly delay or prevent the granting

of the required authorizations and therefore have an adverse impact on the development of the

Project and on Falco’s financial position.

The Company will not provide additional comments at this time and will not grant interviews.

About Falco

Falco Resources is one of the largest holders of mining titles in the province of Quebec, with a

large portfolio of properties in the Abitibi greenstone belt. Falco holds rights to approximately

67,000 hectares of land in the Noranda Mining Camp, representing 67% of the entire camp and

including 13 former gold and base metals mining sites. Falco’ s principal asset is the Horne 5

project located beneath the former Horne mine, which was operated by Noranda fr om 1927 to

1976 and produced 11.6 million ounces of gold and 2.5 billion pounds of copper. Osisko

Development Corp. is Falco’s largest shareholder with a 16.0% interest in the Company.

For further information, please contact:

Luc Lessard

President and Chief Executive Officer

514 261-3336

[email protected]

Neither TSX Venture Exchange nor its Regulation Services Provider (as that term is defined in

the policies of the TSX Venture Exchange) accepts responsibility for the adequacy or accuracy of

this release.

Cautionary Note Regarding Forward-Looking Statements

This press release contains forward- looking statements and forward- looking information

(collectively, “forward-looking statements”) within the meaning of applicable securities laws.

These statements include references to the impact of the Horne 5 Project on air quality in Rouyn-

Noranda, the Ministry’s interpretation of section 197 of the CAR, the issues identified in the course

of the BAPE process and noted by the Ministry, Falco’s assessment of the alternatives available

to it, the development of the Horne 5 Project and the granting of environmental authorizations.

These statements are based on information currently available to the Company and the Company

provides no assurance that actual results will meet management's expectations. The occurrence

of such events or the realization of such statements is subject to a number of risk factors,

including, without limitation, the risk factors identified in Falco's annual management's discussion

and analysis and in other continuous disclosure documents available at www.sedarplus.com .

Although Falco believes that the assumptions and factors used in preparing the forward- looking

statements are reasonable, undue reliance should not be placed on these statements, which only

apply as of the date of this press release, and no assurance can be given that such events will

occur in the disclosed time frames or at all. Except as required by applicable law, Falco disclaims

any intention or obligation to update or revise any forward-looking statements, whether as a result

of new information.