New Nomadar Corp. (NOMA) director reports no beneficial share ownership
Filing Impact
Filing Sentiment
Form Type
3
Rhea-AI Filing Summary
Nomadar Corp. director reports no share ownership
Gonzalez Lobon Antonio Carlos, a director of Nomadar Corp., filed an initial statement of beneficial ownership of securities following an event dated 10/29/2025. The filing states that no Nomadar Corp. securities are beneficially owned, and both non-derivative and derivative tables are empty.
Positive
- None.
Negative
- None.
FAQ
What does Nomadar Corp. (NOMA) disclose in this Form 3 filing?
Nomadar Corp. discloses an initial statement of beneficial ownership for a director. The filing specifies that no Nomadar Corp. securities, either non-derivative or derivative, are beneficially owned. Both ownership tables are blank, and a note confirms no securities are beneficially owned.
Who is the reporting person in Nomadar Corp. (NOMA) Form 3?
The reporting person is Gonzalez Lobon Antonio Carlos, identified as a director of Nomadar Corp. The form is filed by one reporting person and is signed "/s/ Antonio Lobon" with a signature date of 01/30/2026, confirming the information provided in the ownership statement.
What is the event date referenced in Nomadar Corp. (NOMA) Form 3?
The Form 3 lists 10/29/2025 as the date of the event requiring the ownership statement. This date anchors when the beneficial ownership status is assessed, and the filing clarifies that, as of that event, no Nomadar Corp. securities are beneficially owned by the reporting person.
Is the Nomadar Corp. (NOMA) Form 3 filed individually or jointly?
The Form 3 is filed by one reporting person, not as a joint or group filing. The checkbox for “Form filed by One Reporting Person” is selected, indicating that only Gonzalez Lobon Antonio Carlos is covered by this initial beneficial ownership statement.
What warning language is included in the Nomadar Corp. (NOMA) Form 3?
The filing includes a standard warning that intentional misstatements or omissions of facts constitute federal criminal violations. It cites 18 U.S.C. 1001 and 15 U.S.C. 78ff(a), underscoring the legal importance of accurate disclosure in this beneficial ownership report.