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SPX Technologies (SPXC) officer files late Form 3 showing no share ownership

Filing Impact
(Neutral)
Filing Sentiment
(Neutral)
Form Type
3

Rhea-AI Filing Summary

SPX Technologies, Inc. officer Daniel Jay Whitman, who serves as VP, General Counsel & Secretary, filed an initial ownership report on Form 3. The filing notes that it should have been submitted within ten days of him becoming an officer, but was delayed due to administrative issues in obtaining his EDGAR access codes. The report states that no securities of SPX Technologies are beneficially owned.

Positive

  • None.

Negative

  • None.
SEC Form 3
FORM 3 UNITED 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*
Whitman Daniel Jay

(Last) (First) (Middle)
C/O SPX TECHNOLOGIES, INC.
6325 ARDREY KELL ROAD, SUITE 400

(Street)
CHARLOTTE NC 28277

(City) (State) (Zip)
2. Date of Event Requiring Statement (Month/Day/Year)
01/05/2026
3. Issuer Name and Ticker or Trading Symbol
SPX Technologies, Inc. [ SPXC ]
4. Relationship of Reporting Person(s) to Issuer
(Check all applicable)
Director 10% Owner
X Officer (give title below) Other (specify below)
VP, GEN. COUNSEL & SECRETARY
5. If Amendment, Date of Original Filed (Month/Day/Year)
6. Individual or Joint/Group Filing (Check Applicable Line)
X Form 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 Exercisable Expiration Date Title Amount or Number of Shares
Explanation of Responses:
Remarks:
This Form 3 should have been filed within ten days of the reporting person becoming an officer. This filing was delayed due to administrative delays in obtaining the reporting person's EDGAR codes.
No securities are beneficially owned.
/s/ Caroline Prescott, Attorney in fact for Daniel Jay Whitman 01/23/2026
** Signature of Reporting Person Date
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.

FAQ

Who is the reporting person in SPX (SPXC)'s latest Form 3?

The reporting person is Daniel Jay Whitman, who is an officer of SPX Technologies, Inc. with the title VP, General Counsel & Secretary.

Does the SPXC Form 3 show that Daniel Jay Whitman owns any SPX Technologies shares?

No. The Form 3 explicitly states that no securities are beneficially owned by Daniel Jay Whitman at the time of this initial filing.

Why was the SPXC Form 3 for Daniel Jay Whitman filed late?

The remarks section explains that the Form 3 should have been filed within ten days of him becoming an officer, but the filing was delayed due to administrative delays in obtaining his EDGAR codes.

What is Daniel Jay Whitman’s relationship to SPX Technologies (SPXC)?

He is an officer of SPX Technologies, Inc., serving as VP, General Counsel & Secretary, and is not listed as a director or 10% owner.

Are there any transactions reported in this SPXC Form 3?

No transactions are listed. The tables for non-derivative and derivative securities show that no securities are beneficially owned by the reporting person.

Who signed the Form 3 related to SPX Technologies (SPXC)?

The Form 3 was signed by /s/ Caroline Prescott, acting as attorney-in-fact for Daniel Jay Whitman.
SPX TECHNOLOGIES INC

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