Douglas Cahill - 02 Apr 2026 Form 4 Insider Report for Hillman Solutions Corp. (HLMN)

Source evidence Original filing metadata and source links for verification. 4 source fields
SEC form
4
Accepted by SEC
03 Apr 2026, 08:47:51 UTC
Prior SEC filing
10 Mar 2026
Source filing
View source filing
Reporting owner 1 detail
Reporting owner signature
By: /s/ Daniel M. Bauer, as attorney-in-fact

Key filing fact

Douglas Cahill filed Form 4 for Hillman Solutions Corp. (HLMN) on 03 Apr 2026.

Key facts

  • This page summarizes Douglas Cahill's Form 4 filing for Hillman Solutions Corp. (HLMN).
  • 1 reported transaction and 0 derivative rows are listed below.
  • Accepted by SEC: 03 Apr 2026, 08:47.

Change

  • Previous filing in this sequence was filed on 10 Mar 2026.
  • Current net transaction value: $0.

Research use

  • This tells you what this filing adds before you inspect full transaction and derivative tables.
  • You can trace every row back to the original SEC filing document.

Evidence

Filed on Form 4

Ownership activity is grounded in SEC Form 4 disclosures.

View source filing

Reporting Owners (1)

CIK 0001645339 Primary reporting owner

Cahill Douglas

Relationship
COB, Executive Chairman, Director
Address
1280 KEMPER MEADOW DR., FOREST PARK
Signature
By: /s/ Daniel M. Bauer, as attorney-in-fact
Signature date
03 Apr 2026

Reported non-derivative transactions

Shares, units, or other non-derivative securities reported in this filing.

HLMN transaction

Common Stock

Tax liability

Transaction value
Shares
-18,258
Change %
-2.5%
Price
$8.14*
Shares after
724,359
Date
02 Apr 2026
Ownership
Direct
Footnotes
F1
* marks a reported price that did not pass the local price check.

Additional SEC filing notes

Filing notes and footnotes

Explanation of responses 1 footnote

Footnote F1

Represents additional tax withholding related to 3/7/2026 award vestings to correct a tax underwithholding administrative error. Given this additional withholding should have occurred on 3/7/2026, the Company is using the same share price as the prior withholding that would have been used had the Company processed this correctly from the outset.

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