{"url_path":"/sec/vfc/10-k/2026/item-3","section_key":"item-3","section_title":"Item 3 LEGAL PROCEEDINGS.","topic":"sec","document":{"doc_type":"10-K","doc_date":"2026-05-20","source_url":"https://www.sec.gov/Archives/edgar/data/103379/0000103379-26-000030-index.html","accession_number":"0000103379-26-000030","cik":"0000103379","ticker":"VFC","issuer_name":"V F CORP","edgar_url":"https://www.sec.gov/Archives/edgar/data/103379/0000103379-26-000030-index.html","primary_entity_key":"0000103379","primary_entity_name":"V F CORP"},"word_count":160,"has_tables":true,"body_markdown":"ITEM  3.    LEGAL PROCEEDINGS.\n\nOther than the putative securities class action in the U.S. District Court for the District of Colorado discussed in Note 22, Commitments and Contingencies, there are no pending material legal proceedings, other than ordinary, routine litigation incidental to the business, to which VF or any of its subsidiaries is a party or to which any of their property is the subject.\n\nSEC regulations require us to disclose certain information about proceedings arising under federal, state or local environmental regulations if we reasonably believe that such proceedings may result in monetary sanctions above a stated threshold. Pursuant to SEC regulations, VF uses a threshold of $1 million for purposes of determining whether disclosure of any such proceedings is required. VF believes that this threshold is reasonably designed to result in disclosure of any such proceedings that are material to VF’s business or financial condition. Applying this threshold, there are no such proceedings to disclose for this period."}