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RAVE RESTAURANT GROUP, INC. — Investor Relations & Filings

Ticker · RAVE ISIN · US7541981095 US Accommodation and food service activities
Filings indexed 920 across all filing types
Latest filing 2017-04-24 Regulatory Filings
Country US United States of America
Listing US RAVE

About RAVE RESTAURANT GROUP, INC.

https://www.raverg.com/

RAVE Restaurant Group, Inc. owns, franchises, and supplies two distinct pizza restaurant brands: Pizza Inn and Pie Five Pizza. Pizza Inn is an international chain established in 1958, offering traditional and specialty pizzas, pastas, salads, and desserts through buffet, delivery, and carry-out formats. Pie Five Pizza is a fast-casual concept where customers can order individual, handcrafted pizzas made with fresh ingredients that are ready in under five minutes. The company's portfolio targets different segments of the pizza market, from family-style dining to quick, customized meals.

Recent filings

Filing Released Lang Actions
Regulatory Filings 2017
Regulatory Filings Classification · 90% confidence The provided document text appears to be an encoded or binary file content (e.g., base64 or uuencoded data) rather than readable text. There are no discernible keywords, regulatory references, form names, fiscal period dates, or document titles that can be extracted from the text. The document length is 15,000 characters, which is substantial, but the content is not human-readable and does not contain any clear indicators of the filing type. Given the lack of identifiable information and the nature of the content, the best classification is Regulatory Filings (RNS), which serves as a fallback category for miscellaneous filings that do not fit other specific categories.
2017-04-24 English
Regulatory Filings 2017
Regulatory Filings Classification · 95% confidence The document is a letter from the company's CFO to the SEC responding to comments on previously filed Form 10-K and Form 10-Q reports. It references specific SEC comment letters and discusses planned revisions and disclosures for future filings. The document itself does not contain the full financial statements or substantive financial data but is a correspondence addressing regulatory review comments. The document length is 3716 characters, which is relatively short and consistent with a regulatory correspondence rather than a full report. According to the rules, such correspondence responding to SEC comments on filings is classified as a Regulatory Filing (RNS) rather than the actual 10-K or 10-Q reports themselves.
2017-04-19 English
PRIMARY DOCUMENT
Director's Dealing
2017-04-19 English
Regulatory Filings 2017
Regulatory Filings Classification · 90% confidence The provided document text appears to be encoded or encrypted and does not contain any readable content, keywords, regulatory headers, or references to specific report types, fiscal periods, or regulatory bodies. The document length is 15,000 characters, which is substantial, but the content is not interpretable as a financial or corporate filing. Given the lack of any identifiable information or context, the document cannot be classified into any specific filing category based on the provided text. According to the rules, when a document does not neatly fit into any specific category and lacks clear content, it should be classified as a Regulatory Filing (RNS) as a fallback category.
2017-04-10 English
Regulatory Filings 2017
Regulatory Filings Classification · 95% confidence The document is a letter from the Chief Financial Officer of Rave Restaurant Group, Inc. to the SEC responding to comments on previously filed Form 10-K and Form 10-Q reports. It references specific filings (Form 10-K for fiscal year ended June 26, 2016 and Form 10-Q for quarter ended December 25, 2016) and addresses SEC staff comments on disclosures, non-GAAP measures, earnings per share calculations, and impairment disclosures. The document is a correspondence letter providing clarifications and planned future revisions rather than the actual financial reports themselves. It does not contain financial statements or substantive financial data but is a regulatory response letter. According to the rules, such correspondence responding to SEC comments on filings is classified as Regulatory Filings (RNS).
2017-03-30 English
PRIMARY DOCUMENT
Director's Dealing
2017-03-29 English

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