An amendment is grouped with the report it
amends; every 12b-25 notice is one group
SEC comment letter
Filing comparison
Streamex Corp. responded to SEC staff comments on business combinations
Letter dated
2026-01-20; published on EDGAR 2026-07-14 — the
SEC releases comment letters only after the review closes.
Please tell us how you considered these factors in determining the accounting for the transaction. Accounting Summary Variable Interest Model Considerations: Management evaluated the transaction under ASC 810 and concluded Streamex is a variable interest entity (“VIE”) and BioSig is the primary beneficiary as of closing. Accordingly, BioSig obtained the controlling financial interest at closing and is identified as…
Evidence
Cited sections
Note 13 - Business Combination, page 25
Direction
company to staff
Letter dated
2026-01-20
Published on edgar
2026-07-14
Reviewing
Streamex Corp. Form 10-K filed April 15, 2025 Form 10-Q filed November 14, 2025 File No. 001-38659 Dear Ms. Baker and Mr. O’Brien: Streamex Corp. Inc. (f/k/a Bi
Source
Company response to SEC staff (CORRESP)
Topics
Business combinations, Goodwill and impairment, Fair value, Leases, Going concern, Crypto assets
Why
SEC staff reviewed the company's periodic report and raised written comments on its accounting, or the company replied to them. Letters are published on EDGAR only after the review closes.
SEC staff questioned Streamex Corp.'s accounting for business combinations
Letter dated
2025-12-22; published on EDGAR 2026-07-14 — the
SEC releases comment letters only after the review closes.
Evidence
Cited sections
Note 13 - Business Combination, page 25
Direction
staff to company
Letter dated
2025-12-22
Published on edgar
2026-07-14
Reviewing
Streamex Corp. Form 10-K filed April 15, 2025 Form 10-Q filed November 14, 2025 File No. 001-38659 Dear Ferdinand Groenewald: We have limited our review of your
Source
SEC staff comment letter (UPLOAD)
Topics
Business combinations, Goodwill and impairment
Why
SEC staff reviewed the company's periodic report and raised written comments on its accounting, or the company replied to them. Letters are published on EDGAR only after the review closes.
Streamex Corp. disclosed substantial doubt about its ability to continue as a going concern in its first report following a change of registrant
The prior filing was made by a different business under the same CIK, so this is a new disclosure rather than a change.
Paragraph – Going Concern The accompanying consolidated financial statements have been prepared assuming that the Company will continue as a going concern. As more fully described in Note 2, the Company has incurred significant losses and needs to raise additional funds to meet its obligations and sustain its operations. These conditions raise substantial doubt about the Company’s ability to continue as a going concern. Management’s plans in regard to these matters are also described in Note 2. The consolidated financial statements do not include any adjustments that might result from the…
Evidence
Blank check
No
Caveat
The prior filing was made by a different business under the same CIK, so this is a new disclosure rather than a change.
Comparable
No
Current state
substantial_doubt
Current state label
Substantial doubt about ability to continue as a going concern
Direction
not comparable
Located in
going-concern note
Prior filed
2025-04-15
Prior form
10-K
Registrant changed from
BioSig Technologies, Inc.
Source
ASC 205-40 going-concern note comparison
Why
Disclosure about the company's ability to continue as a going concern changed compared with its previous report.