STOCK TITAN

BlackRock Energy & Resources Trust (NYSE: BGR) reappoints compliance head

(Neutral)
(Neutral)
Form Type
3

Rhea-AI Filing Summary

BlackRock Energy & Resources Trust filed an initial insider report identifying Charles Park as its Chief Compliance Officer. The remarks state he previously served in this role from June 6, 2014 to June 30, 2023 and was reappointed effective August 1, 2026.

Positive

  • None.

Negative

  • None.
Prior CCO start date June 6, 2014 Start of Charles Park’s earlier Chief Compliance Officer term
Prior CCO end date June 30, 2023 End of Charles Park’s earlier Chief Compliance Officer term
Reappointment effective date August 1, 2026 Effective date of Charles Park’s reappointment as Chief Compliance Officer
Chief Compliance Officer regulatory
"The Reporting Person was reappointed as Chief Compliance Officer of the Issuer effective August 1, 2026."
The chief compliance officer is the senior executive responsible for making sure a company follows laws, industry rules and its own internal policies, acting like a safety inspector for legal and ethical risks. Investors care because effective compliance reduces the chance of fines, lawsuits, operational disruption and reputational damage, so the officer’s competence and independence can materially affect future profits and risk exposure.
Reporting Person regulatory
"The Reporting Person previously served as Chief Compliance Officer of the Issuer from June 6, 2014 to June 30, 2023."
Form 3 regulatory
"Filed as an initial statement of beneficial ownership on Form 3 by the officer."
Form 3 is the initial public filing that officers, directors and large shareholders must submit to report their ownership of a company’s securities when they become insiders. It acts like an opening inventory sheet that gives investors a starting point to see who holds significant stakes and to spot later trades or potential conflicts of interest, helping assess insider confidence and transparency.

AI-generated analysis. How Rhea-AI works. Not financial advice.

See more from StockTitan in Google Search and AI answers. Adds StockTitan as a preferred source · opens Google
Add on Google
Learn about SEC filing dates

FAQ

What does BlackRock Energy & Resources Trust (BGR) report in this Form 3?

The Form 3 identifies Charles Park as an officer of BlackRock Energy & Resources Trust, with the title Chief Compliance Officer. It also notes his prior term in this role and his reappointment effective August 1, 2026.

Who is Charles Park in relation to BlackRock Energy & Resources Trust (BGR)?

Charles Park is reported as the Chief Compliance Officer of BlackRock Energy & Resources Trust. The filing notes he held this role previously from June 6, 2014 to June 30, 2023 and has been reappointed effective August 1, 2026.

When did Charles Park previously serve as Chief Compliance Officer of BGR?

The filing states that Charles Park previously served as Chief Compliance Officer of BlackRock Energy & Resources Trust from June 6, 2014 to June 30, 2023. This period reflects his earlier tenure in the same compliance leadership role.

When is Charles Park’s reappointment at BlackRock Energy & Resources Trust (BGR) effective?

The remarks specify that Charles Park was reappointed as Chief Compliance Officer of BlackRock Energy & Resources Trust effective August 1, 2026. This effective date marks the start of his new term in the compliance role.

What officer title does the BGR Form 3 assign to Charles Park?

The Form 3 lists Charles Park’s officer title as Chief Compliance Officer of BlackRock Energy & Resources Trust. This title reflects responsibility for overseeing the trust’s compliance program and related regulatory obligations.
SEC Form 3
FORM 3UNITED STATES SECURITIES AND EXCHANGE COMMISSION
Washington, D.C. 20549

INITIAL STATEMENT OF BENEFICIAL OWNERSHIP OF SECURITIES

Filed pursuant to Section 16(a) of the Securities Exchange Act of 1934
or Section 30(h) of the Investment Company Act of 1940
OMB APPROVAL
OMB Number:3235-0104
Estimated average burden
hours per response:0.5
1. Name and Address of Reporting Person*
Park Charles

(Last)(First)(Middle)
50 HUDSON YARDS

(Street)
NEW YORK NEW YORK 10001

(City)(State)(Zip)

UNITED STATES

(Country)
2. Date of Event Requiring Statement (Month/Day/Year)
08/01/2026
3. Issuer Name and Ticker or Trading Symbol
BlackRock Energy & Resources Trust [ BGR ]
3a. Foreign Trading Symbol
5. If Amendment, Date of Original Filed (Month/Day/Year)
4. Relationship of Reporting Person(s) to Issuer
(Check all applicable)
Director10% Owner
XOfficer (give title below)Other (specify below)
Chief Compliance Officer
6. Individual or Joint/Group Filing (Check Applicable Line)
XForm filed by One Reporting Person
Form filed by More than One Reporting Person
Table I - Non-Derivative Securities Beneficially Owned
1. Title of Security (Instr. 4) 2. Amount of Securities Beneficially Owned (Instr. 4) 3. Ownership Form: Direct (D) or Indirect (I) (Instr. 5) 4. Nature of Indirect Beneficial Ownership (Instr. 5)
Table II - Derivative Securities Beneficially Owned
(e.g., puts, calls, warrants, options, convertible securities)
1. Title of Derivative Security (Instr. 4) 2. Date Exercisable and Expiration Date (Month/Day/Year)3. Title and Amount of Securities Underlying Derivative Security (Instr. 4) 4. Conversion or Exercise Price of Derivative Security 5. Ownership Form: Direct (D) or Indirect (I) (Instr. 5) 6. Nature of Indirect Beneficial Ownership (Instr. 5)
Date ExercisableExpiration DateTitleAmount or Number of Shares
Explanation of Responses:
Remarks:
The Reporting Person previously served as Chief Compliance Officer of the Issuer from June 6, 2014 to June 30, 2023. The Reporting Person was reappointed as Chief Compliance Officer of the Issuer effective August 1, 2026.
No securities are beneficially owned.
/s/ Gladys Chang as Attorney-in-Fact08/05/2026
** Signature of Reporting PersonDate
Reminder: Report on a separate line for each class of securities beneficially owned directly or indirectly.
* If the form is filed by more than one reporting person, see Instruction 5 (b)(v).
** Intentional misstatements or omissions of facts constitute Federal Criminal Violations See 18 U.S.C. 1001 and 15 U.S.C. 78ff(a).
Note: File three copies of this Form, one of which must be manually signed. If space is insufficient, see Instruction 6 for procedure.
Persons who respond to the collection of information contained in this form are not required to respond unless the form displays a currently valid OMB Number.
* Form 3: SEC 1473 (03-26)