{"url_path":"/sec/sbmt/10-q/2026/item-4","section_key":"item-4","section_title":"Item 4 MINE SAFETY DISCLOSURE.","topic":"sec","document":{"doc_type":"10-Q","doc_date":"2026-05-14","source_url":"https://www.sec.gov/Archives/edgar/data/2067674/0001539497-26-001432-index.html","accession_number":"0001539497-26-001432","cik":"0002067674","ticker":"SBMT","issuer_name":"SILVER BOW MINING CORP.","edgar_url":"https://www.sec.gov/Archives/edgar/data/2067674/0001539497-26-001432-index.html","primary_entity_key":"0002067674","primary_entity_name":"SILVER BOW MINING CORP."},"word_count":156,"has_tables":true,"body_markdown":"ITEM 4.  MINE SAFETY DISCLOSURE.\n\n \n\nWe consider health, safety, and environmental\nstewardship to be a core value for us.\n\n \n\nPursuant to Section 1503(a) of the United\nStates *Dodd-Frank Wall Street Reform and Consumer Protection Act of 2011* (the “**Dodd-Frank Act**”), issuers\nthat are operators, or that have a subsidiary that is an operator, of a coal or other mine in the United States are required to\ndisclose in their periodic reports filed with the SEC information regarding specified health and safety violations, orders and\ncitations, related assessments and legal actions, and mining-related fatalities under the regulation of the Federal Mine Safety\nand Health Administration (“**MSHA**”) under the *United States Federal Mine Safety and Health Act of 1977*\n(the “**Mine Act**”). During the three months ended March 31, 2026, we had no U.S. properties subject to regulation\nby the MSHA under the Mine Act and consequently no disclosure is required under Section 1503(a) of the Dodd-Frank Act."}