Filing Signals

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

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Teamshares Inc

CIK 2048951 TMS·Retail Trade · All EDGAR filings ↗

Progression

  1. SEC comment letter CORRESP
  2. Auditor change 8-K +17d
Auditor change SEC item code

Teamshares Inc reported a change in its independent accounting firm

The company dismissed the auditor. JBA Asset Management LLC not stated

Evidence
Direction
dismissed
Direction label
The company dismissed the auditor
Item code
4.01
Item title
Changes in Registrant's Certifying Accountant
Predecessor auditor
JBA Asset Management LLC
Predecessor tier
other
Severity
normal
Source
SEC 8-K item code
Why
The company's independent registered accounting firm changed.
SEC comment letter Filing comparison

Live Oak Acquisition Corp. V responded to SEC staff comments on non-GAAP measures

Letter dated 2026-04-28; published on EDGAR 2026-06-08 — the SEC releases comment letters only after the review closes.

Please revise to provide the disclosures required by Item 100(a) of Regulation G, including a reconciliation of this non-GAAP measure to the most directly comparable GAAP measure per Item 100(a)(2). Response: The Company respectfully acknowledges the Staff’s comment and is furnishing a copy of the Updated Teamshares Presentation to the Commission as Exhibit 99.1 to the Amended Current Report on Form 8-K intended to…
Evidence
Direction
company to staff
Letter dated
2026-04-28
Published on edgar
2026-06-08
Reviewing
Live Oak Acquisition Corp. V Form 10-K for Fiscal Year Ended December 31, 2025 Form 8-K Furnished March 31, 2026 File No. 001-42540 Ladies and Gentlemen: Live O
Source
Company response to SEC staff (CORRESP)
Topics
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.
Formerly
Live Oak Acquisition Corp. V
SEC comment letter Filing comparison

SEC staff questioned Live Oak Acquisition Corp. V's accounting for non-GAAP measures

Letter dated 2026-04-24; published on EDGAR 2026-06-08 — the SEC releases comment letters only after the review closes.

Please revise to provide the disclosures required by Item 100(a) of Regulation G, including a reconciliation of this non-GAAP measure to the most directly comparable GAAP measure per Item 100(a)(2). Historical Financial Results and Reconciliation of Non-GAAP Measures, page 81 2. Please remove all references to the non-GAAP measure consolidated Operating EBITDA and associated amounts, including measures the…
Evidence
Direction
staff to company
Letter dated
2026-04-24
Published on edgar
2026-06-08
Reviewing
Live Oak Acquisition Corp. V Form 10-K for Fiscal Year Ended December 31, 2025 Form 8-K Furnished March 31, 2026 File No. 001-42540 Dear Richard J. Hendrix: We
Source
SEC staff comment letter (UPLOAD)
Topics
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.
Formerly
Live Oak Acquisition Corp. V