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FURY GOLD MINES LTD
CIK: 0001514597  ·  File(s): 001-38145  ·  Started: 2025-06-26  ·  Last active: 2025-06-26
Awaiting Response 0 company response(s) High
UL SEC wrote to company 2025-06-26
FURY GOLD MINES LTD
Financial Reporting Regulatory Compliance
File Nos in letter: 001-38145
FURY GOLD MINES LTD
CIK: 0001514597  ·  File(s): 001-38145  ·  Started: 2025-06-02  ·  Last active: 2025-06-16
Response Received 1 company response(s) High - file number match
UL SEC wrote to company 2025-06-02
FURY GOLD MINES LTD
Regulatory Compliance Financial Reporting Internal Controls
File Nos in letter: 001-38145
CR Company responded 2025-06-16
FURY GOLD MINES LTD
Financial Reporting Internal Controls Regulatory Compliance
File Nos in letter: 001-38145
References: June 2, 2025
DateTypeCompanyLocationFile NoLink
2025-06-26 SEC Comment Letter FURY GOLD MINES LTD British Columbia, Canada 001-38145
Financial Reporting Regulatory Compliance
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2025-06-16 Company Response FURY GOLD MINES LTD British Columbia, Canada N/A
Financial Reporting Internal Controls Regulatory Compliance
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2025-06-02 SEC Comment Letter FURY GOLD MINES LTD British Columbia, Canada 001-38145
Regulatory Compliance Financial Reporting Internal Controls
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DateTypeCompanyLocationFile NoLink
2025-06-26 SEC Comment Letter FURY GOLD MINES LTD British Columbia, Canada 001-38145
Financial Reporting Regulatory Compliance
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2025-06-02 SEC Comment Letter FURY GOLD MINES LTD British Columbia, Canada 001-38145
Regulatory Compliance Financial Reporting Internal Controls
Read Filing View
DateTypeCompanyLocationFile NoLink
2025-06-16 Company Response FURY GOLD MINES LTD British Columbia, Canada N/A
Financial Reporting Internal Controls Regulatory Compliance
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2025-06-26 - UPLOAD - FURY GOLD MINES LTD File: 001-38145
<DOCUMENT>
<TYPE>TEXT-EXTRACT
<SEQUENCE>2
<FILENAME>filename2.txt
<TEXT>
 June 26, 2025

Phil van Staden
Chief Financial Officer
Fury Gold Mines Limited
401 Bay Street, 16th Floor
Toronto , Ontario
Canada M5H 2Y4

 Re: Fury Gold Mines Limited
 Form 20-F for the Fiscal Year ended December 31, 2024
 Filed April 1, 2025
 File No. 001-38145
Dear Phil van Staden:

 We have completed our review of your filing. We remind you that the
company and
its management are responsible for the accuracy and adequacy of their
disclosures,
notwithstanding any review, comments, action or absence of action by the staff.

 Sincerely,

 Division of Corporation
Finance
 Office of Energy &
Transportation
cc: Michael Taylor
</TEXT>
</DOCUMENT>
2025-06-16 - CORRESP - FURY GOLD MINES LTD
Read Filing Source Filing Referenced dates: June 2, 2025
CORRESP
 1
 filename1.htm

 Fury Gold Mines Limited: CORRESP - Filed by newsfilecorp.com

 Reply to the Attention of
 Michael H. Taylor

 Direct Line
 604.691.7410

 Email Address
 michael.taylor@mcmillan.ca

 Our File No.
 315123

 Date
 June 16, 2025

 VIA EDGAR CORRESPONDENCE
 United States Securities and Exchange Commission Division of Corporation Finance
 Office of Energy & Transportation 100 F Street, NE Washington, DC 20549
 Attention:  John Coleman and Karl Hiller
 Dear Sirs:
 Re:   Fury Gold Mines Limited (the "Company")
 Form 20-F for the Fiscal Year Ended December 31, 2024
 Filed April 1, 2025
 File No. 001-38145
 We are legal counsel to the Company and are writing to you in such capacity in response to Staff's comment letter dated June 2, 2025 (the " Comment Letter ") with respect to the Form 20-F for the fiscal year ended December 31, 2024 filed on April 1, 2025 (the " Original Form 20-F ") with the United States Securities and Exchange Commission (the " SEC ").
 In response to the Comment Letter, the Company has prepared a proposed amendment no. 1 to the Original Form 20-F with expanded disclosure to Item 4 in order to address Staff’s comments in the Comment Letter (the “ Amended Form 20-F ”).  We attach with this letter a redlined draft of the Amended Form 20-F in a PDF format showing the proposed changes to the cover page, Item 4 and the Exhibit index from the disclosure included in the Original 20-F. We also attach for your reference redlined draft updates to the Technical Report Summaries for each of the Eau Claire Project and Committee Bay Project in a PDF format. We confirm the Company’s intention to file the Amended Form 20-F and the updated Technical Report Summaries upon clearance of the comments set forth in the Comment Letter.
 On behalf of the Company, we provide below the Company's response to the comments made in the Comment Letter:
 Form 20-F for the Fiscal Year ended December 31, 2024
 Item 4 Information on the company, page 34
 1.   We note that you have included a summary of your mineral properties that includes the three properties that you have identified as material properties.

 McMillan LLP | Royal Centre, 1055 W. Georgia St., Suite 1500, PO Box 11117, Vancouver, BC, Canada V6E 4N7 | t 604.689.9111 | f 604.685.7084 Lawyers | Patent & Trade-mark Agents | Avocats | Agents de brevets et de marques de commerce Vancouver | Calgary | Toronto | Ottawa | Montréal | Hong Kong | mcmillan.ca

 June 16, 2025 Page 2

 Please revise to include a summary of all properties in which you have an economic interest, including material properties, non-material properties, and properties in which you have an equity interest, consistent with Item 1303(a) of Regulation S-K.
 The summary disclosure should also include a summary map and a general overview pursuant to Item 1303(b) of Regulation S-K.
 In response to Staff's comment, the Company has expanded the summary section under Item 4.E of the Amended Form 20-F in order to:

 provide a summary of all properties in which Fury owns an economic interest, including both material and non-material properties;

 provide summary maps of the Company's properties on an overall basis and on a summary basis for the Company's Nunavat and Quebec properties; and

 provide the disclosure required by Item 1303(b) of Regulation S-K for both the Company's material and non-material properties.

 2.   Please expand your summary resource table on page 33 to include the point of reference and the commodity price(s) pursuant to Item 1303(b)(3) of Regulation S-K.
 In response to Staff's comment, the Company has expanded the summary resource table under Item 4.E in order to provide the dates of reference and the commodity prices used for the mineral resource estimates, as well as to provide additional explanatory notes on the resource estimates for the Eau Claire Project and the Committee Bay Project.
 3.   Please expand your individual property disclosure to include the cost or book value of each material property, pursuant to Item 1304(b)(2)(iii) of Regulation S-K.
 In response to Staff's comment, the Company has expanded the individual property disclosure under Item 4.E in order to present a table including the book value of each of the Company's material mineral properties in accordance with Item 1304(b)(2)(iii) of Regulation S-K.
 4.   Please revise to include the information required under Item 1305 of Regulation S-K regarding the internal controls used in your exploration and mineral resource and reserve estimation efforts.
 In response to Staff's comment, the Company has expanded the individual property disclosure under Item 4.E in order to provide the information regarding internal controls related to the Company's resource estimates for each of the Eau Claire Project and the Committee Bay Project.
 Item 19 Exhibits
 15.2, page 140
 5.   The criteria that was used to classify a resource as inferred, indicated, or measured should be included in the technical report summary, along with the details that justify the classification pursuant to Item 601(b)(96)(iii)(B)(11)(iv) of Regulation S-K.

 June 16, 2025 Page 3

 For example, this would generally include the resource interpolation parameters for inferred, indicated, and measured, and an explanation of how the interpolation parameters were determined.
 Please discuss this matter with the qualified persons involved in preparing the report and submit the revisions that are proposed to address this requirement.
 In response to Staff's comment, the Company has included proposed revised drafts of each of the Technical Report Summaries for the Eau Claire Project and Committee Bay Project with updates to provide the additional criteria used to classify the resource estimates for each of the Eau Claire Project and the Committee Bay Project.  If these revisions to the Technical Report Summaries are acceptable, the Company will have the updated Technical Report Summaries finalized by the qualified persons and file updated consents of the qualified persons with the Amended Form 20-F.
 Should you have any further comments or questions arising from any of the above responses, please do not hesitate to contact the writer by phone or email.
 Yours truly,
 "Michael H. Taylor"
 Michael H. Taylor*
 *Law Corporation
 cc:   Mr. Phil van Staden, Chief Financial Officer   Fury Gold Mines Limited
2025-06-02 - UPLOAD - FURY GOLD MINES LTD File: 001-38145
<DOCUMENT>
<TYPE>TEXT-EXTRACT
<SEQUENCE>2
<FILENAME>filename2.txt
<TEXT>
 June 2, 2025

Phil van Staden
Chief Financial Officer
Fury Gold Mines Limited
401 Bay Street, 16th Floor
Toronto , Ontario
Canada M5H 2Y4

 Re: Fury Gold Mines Limited
 Form 20-F for the Fiscal Year ended December 31, 2024
 Filed April 1, 2025
 File No. 001-38145
Dear Phil van Staden:

 We have reviewed your filing and have the following comments.

 Please respond to this letter within ten business days by providing the
requested
information or advise us as soon as possible when you will respond. If you do
not believe a
comment applies to your facts and circumstances, please tell us why in your
response.

 After reviewing your response to this letter, we may have additional
comments.

Form 20-F for the Fiscal Year ended December 31, 2024
Item 4 Information on the company, page 34

1. We note that you have included a summary of your mineral properties that
includes
 the three properties that you have identified as material properties.

 Please revise to include a summary of all properties in which you have
an economic
 interest, including material properties, non-material properties, and
properties in
 which you have an equity interest, consistent with Item 1303(a) of
Regulation S-K.

 The summary disclosure should also include a summary map and a general
overview
 pursuant to Item 1303(b) of Regulation S-K.

2. Please expand your summary resource table on page 33 to include the
point of
 reference and the commodity price(s) pursuant to Item 1303(b)(3) of
Regulation S-K.
 June 2, 2025
Page 2

3. Please expand your individual property disclosure to include the cost or
book value of
 each material property, pursuant to Item 1304(b)(2)(iii) of Regulation
S-K.

4. Please revise to include the information required under Item 1305 of
Regulation S-K
 regarding the internal controls used in your exploration and mineral
resource and
 reserve estimation efforts.

Item 19 Exhibits
15.2, page 140

5. The criteria that was used to classify a resource as inferred,
indicated, or measured
 should be included in the technical report summary, along with the
details that justify
 the classification pursuant to Item 601(b)(96)(iii)(B)(11)(iv) of
Regulation S-K.

 For example, this would generally include the resource interpolation
parameters for
 inferred, indicated, and measured, and an explanation of how the
interpolation
 parameters were determined.

 Please discuss this matter with the qualified persons involved in
preparing the report
 and submit the revisions that are proposed to address this requirement.

 We remind you that the company and its management are responsible for
the accuracy
and adequacy of their disclosures, notwithstanding any review, comments, action
or absence
of action by the staff.

 Please contact John Coleman at 202-551-3610 or Karl Hiller at
202-551-3686 if you
have questions regarding comments on the financial statements and related
matters.

 Sincerely,

 Division of
Corporation Finance
 Office of Energy &
Transportation
cc: Michael Taylor
</TEXT>
</DOCUMENT>