Filing Signals

Source: SEC EDGAR Compiled 2026-09-14 08:28 UTC All 21 checks passing

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Cannae Holdings, Inc.

CIK 1704720 CNNE·Retail Trade · All EDGAR filings ↗

Progression

  1. Finance chief departure 8-K
  2. SEC comment letter CORRESP +60d
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Form
An amendment is grouped with the report it amends; every 12b-25 notice is one group

SEC comment letter Filing comparison

Cannae Holdings, Inc. responded to SEC staff comments on goodwill and impairment

Letter dated 2025-06-12; published on EDGAR 2026-08-11 — the SEC releases comment letters only after the review closes.

Please revise your disclosure as appropriate to address all material items impacting operating cash flows and their consequent effect. The Company acknowledges the Staff’s comment and respectfully advises the Staff that the Company will provide analysis including underlying reasons for material changes in cash used in operating activities in future filings beginning with our quarterly period ending June 30, 2025.…
Evidence
Direction
company to staff
Letter dated
2025-06-12
Published on edgar
2026-08-11
Reviewing
Cannae Holdings, Inc. Form 10-K For Fiscal Year Ended December 31, 2024 Filed February 29, 2025 File No. 001-38300 Dear Mr. Shapiro and Mr. Jones: We are respon
Source
Company response to SEC staff (CORRESP)
Topics
Goodwill and impairment, MD&A, Income taxes, Leases, Segment reporting, Non-GAAP measures
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 comment letter Filing comparison

Cannae Holdings, Inc. responded to SEC staff comments on segment reporting

Letter dated 2025-09-23; published on EDGAR 2026-08-11 — the SEC releases comment letters only after the review closes.

We note from your response to prior comment 11 that, to the extent your CODM members are on the board of directors of equity method investees, they may receive more detailed information directly from the management of the equity method investee. Please clarify for us what financial information your CODM regularly receive as part of their board of director role(s) and the frequency of the information received.…
Evidence
Direction
company to staff
Letter dated
2025-09-23
Published on edgar
2026-08-11
Reviewing
Cannae Holdings, Inc. Form 10-K For Fiscal Year Ended December 31, 2024 Response Dated June 12, 2025 File No. 001-38300 Dear Mr. Shapiro and Mr. Jones: We are r
Source
Company response to SEC staff (CORRESP)
Topics
Segment reporting, Non-GAAP measures
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 comment letter Filing comparison

SEC staff questioned Cannae Holdings, Inc.'s accounting for MD&A

Letter dated 2025-06-05; published on EDGAR 2026-08-11 — the SEC releases comment letters only after the review closes.

Please revise your disclosure as appropriate to address all material items impacting operating cash flows and their consequent effect. 6. You report cash used in operating activities for each year presented. Please discuss whether this is a known trend and provide related disclosures following the guidance in Item 303(b)(1)(i) of Regulation S-K and Release Nos. 33-6835 and 33-8350, specifically, the operational…
Evidence
Cited sections
Item 303(b)(1) and (1)(i) of Regulation S-K. Operating Cash Flows, page 38
Direction
staff to company
Letter dated
2025-06-05
Published on edgar
2026-08-11
Reviewing
Cannae Holdings, Inc. Form 10-K for Fiscal Year Ended December 31, 2024 File No. 001-38300 Dear Bryan Coy: We have limited our review of your filing to the fina
Source
SEC staff comment letter (UPLOAD)
Topics
MD&A, Goodwill and impairment, Income taxes, Leases, Segment reporting, Non-GAAP measures
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 comment letter Filing comparison

SEC staff questioned Cannae Holdings, Inc.'s accounting for segment reporting

Letter dated 2025-09-09; published on EDGAR 2026-08-11 — the SEC releases comment letters only after the review closes.

We note from your response to prior comment 11 that, to the extent your CODM members are on the board of directors of equity method investees, they may receive more detailed information directly from the management of the equity method investee. Please clarify for us what financial information your CODM regularly receive as part of their board of director role(s) and the frequency of the information received.…
Evidence
Direction
staff to company
Letter dated
2025-09-09
Published on edgar
2026-08-11
Reviewing
Cannae Holdings, Inc. Form 10-K for Fiscal Year Ended December 31, 2024 Response Dated June 12, 2025 File No. 001-38300 Dear Bryan Coy: We have reviewed your Ju
Source
SEC staff comment letter (UPLOAD)
Topics
Segment reporting
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.
Finance chief departure elevated Filing comparison

Cannae Holdings, Inc.'s Chief Financial Officer departed, replaced on an interim basis

Evidence
Interim only
Yes
Item code
5.02
Item title
Departure of Directors or Certain Officers
Role
Chief Financial Officer
Severity
elevated
Source
SEC 8-K item code
Successor named
No
Why
The company's chief financial or accounting officer departed, disclosed under 8-K Item 5.02.