MTCH — what changed in the latest 10-Q
A section-by-section comparison of MTCH's newest periodic SEC filing (10-K/10-Q) against the prior same-form filing: paragraphs added and removed per section, with verbatim excerpts. Purely a deterministic text diff — no similarity scores, no directional read, not investment advice.
Comparing 10-Q · 2026-08-05 vs the prior 10-Q · 2026-05-06
| Section | Outcome | Added | Removed | Minor | Unchanged |
|---|---|---|---|---|---|
| MD&A | Text added/removed | +110 | −64 | ~40 | 189 |
| Market risk (Item 3) | Text added/removed | 0 | 0 | ~1 | 1 |
| Controls & procedures | No paragraph-level changes | 0 | 0 | 0 | 16 |
| Legal proceedings | Text added/removed | +8 | −4 | ~5 | 51 |
| Risk factors | No paragraph-level changes | 0 | 0 | 0 | 38 |
| Other information | Text added/removed | 0 | 0 | ~1 | 2 |
Counts are paragraphs; added/removed means text added or removed vs the prior filing — no direction or judgement implied.
Representative excerpts
Up to 5 excerpts of about 300 characters per section, quoted verbatim from the two SEC filings.
MD&A
Text added vs the prior filing · source: 10-Q · 2026-08-05
During the quarter ended June 30, 2026, we reorganized our brands into three operating
segments. Specifically, the Evergreen and Emerging and MG Asia operating segments were combined
into a new segment called “Everyone Everywhere.” This change has been reflected in all historical
periods presented. The Tinder and Hinge operating segments remain unchanged.
Meetic®, OkCupid®, Plenty Of Fish®, Pairs™, Azar®, BLK®, Chispa™, The League®, Upward®,
Text removed vs the prior filing · source: 10-Q · 2026-05-06
including Match®, Meetic®, OkCupid®, Plenty Of Fish®, and a number of demographically
focused brands, and our Emerging brands, including BLK®, Chispa™, The League®, Upward®,
•Match Group Asia (“MG Asia”) consists of the world-wide activity of the brands Pairs™ and
issued by Match Group FinanceCo 2, Inc., a subsidiary of the Company, which are
exchangeable into shares of the Company's common stock. Interest is payable each June 15
Legal proceedings
Text added vs the prior filing · source: 10-Q · 2026-08-05
settlement on January 13, 2026, and granted final approval on June 5, 2026.
July 9, 2026. We believe we have strong defenses to these claims and will defend vigorously against
on March 30, 2026. The court approved the settlement on April 30, 2026. Pursuant to the settlement
including with respect to the collection, use, or disclosure of personal information. The settlement
agreement also includes provisions allowing the FTC to monitor the subsidiaries’ compliance.
Text removed vs the prior filing · source: 10-Q · 2026-05-06
preliminarily approved the settlement agreement. The settlement amount was placed into escrow in
on March 30, 2026, where it is pending final approval. Pursuant to the stipulated order, certain of the
collection, use, or disclosure of personal information. The stipulated order also includes provisions
believe that we have strong defenses to the allegations and will defend vigorously against them.
How to read Risk Factors (Item 1A) in a 10-Q
A 10-Q risk-factor section usually takes one of three forms; this page classifies it as one of:
- Pointer — the filer states there have been no material changes and points back to the annual 10-K risk factors; there is no own risk text to compare this quarter.
- Partial update — the filer carves out specific updated risks ("except as set forth below"); the excerpts show exactly what is new this quarter.
- Restated in full — the quarter carries the complete risk-factor text. When the prior quarter was only a pointer there is no prior full text to diff against, so the page flags the section as restated instead.
This describes the filing structure only — it is never a judgement on whether risk went up or down.
Source: text-level diff of the two SEC EDGAR filings · deterministic (no AI-generated content) · for reference only · not investment advice