{"url_path":"/sec/ivhi/10-k/2026/item-1c","section_key":"item-1c","section_title":"Item 1C **","topic":"sec","document":{"doc_type":"10-K","doc_date":"2026-01-20","source_url":"https://www.sec.gov/Archives/edgar/data/1009919/0001683168-26-000412-index.html","accession_number":"0001683168-26-000412","cik":"0001009919","ticker":"IVHI","issuer_name":"Invech Holdings, Inc.","edgar_url":"https://www.sec.gov/Archives/edgar/data/1009919/0001683168-26-000412-index.html","primary_entity_key":"0001009919","primary_entity_name":"Invech Holdings, Inc."},"word_count":434,"has_tables":true,"body_markdown":"**Item 1C.**\n**Cybersecurity**\n\n \n\n**Risk management and strategy**\n\n \n\nWe have limited exposure to cybersecurity\nthreats. We have established policies and processes for assessing, identifying, and managing material risk from cybersecurity threats,\nand have integrated these processes into our overall risk management systems and processes. We routinely assess material risks from cybersecurity\nthreats, including any potential unauthorized occurrence on or conducted through our information systems that may result in adverse effects\non the confidentiality, integrity, or availability of our information systems or any information residing therein.\n\n \n\nWe conduct periodic risk assessments to identify\ncybersecurity threats, as well as assessments in the event of a material change in our business practices that may affect information\nsystems that are vulnerable to such cybersecurity threats. These risk assessments include identification of reasonably foreseeable internal\nand external risks, the likelihood and potential damage that could result from such risks, and the sufficiency of existing policies, procedures,\nsystems, and safeguards in place to manage such risks.\n\n \n\nFollowing these risk assessments, we re-design,\nimplement, and maintain reasonable safeguards to minimize identified risks; reasonably address any identified gaps in existing safeguards;\nand regularly monitor the effectiveness of our safeguards. Primary responsibility for assessing, monitoring, and managing our cybersecurity\nrisks rests with our Chief Executive Officer and will employee the expertise of an IT consultant in the event that our risk management\nassessment warrants.\n\n \n\nAs part of our overall risk management system,\nour CEO will monitor and test our safeguards, in collaboration with outside IT consultants.\n\n \n\nWe will engage consultants, or other third\nparties in connection with our risk assessment processes. These service providers will assist us to design and implement our cybersecurity\npolicies and procedures, as well as to monitor and test our safeguards. We require each third-party service provider to certify that it\nhas the ability to implement and maintain appropriate security measures, consistent with all applicable laws, to implement and maintain\nreasonable security measures in connection with their work with us, and to promptly report any suspected breach of its security measures\nthat may affect our company.\n\n \n\nWe have not encountered cybersecurity challenges\nthat have materially impaired our operations or financial standing. For additional information regarding risks from cybersecurity threats,\nplease refer to Item 1A, “Risk Factors,” in this annual report on Form 10-K.\n\n \n\n**Governance**\n\n \n\nWe maintain informed oversight of our risk\nmanagement process, including risks from cybersecurity threats. Our board of directors and chief executive officer are responsible for\nmonitoring and assessing strategic risk exposure, the day-to-day management of the material risks we face. Our board of directors and\nexecutive officer administer our cybersecurity risk oversight regarding third party providers."}