ICL Group Ltd. Form 6-K Summary
Business Context and Reporting Period
This Form 6-K filing by ICL Group Ltd., a foreign private issuer, covers the month of November 2025. The report was filed on November 12, 2025, and primarily serves to announce a cash dividend distribution approved by the Board of Directors on November 11, 2025.
Key Financial Metrics
The filing does not provide comprehensive financial statements, revenue, profit, cash flow, margins, debt, or liquidity metrics for the period. The only specific financial figure disclosed is the total dividend payout.
- Total Dividend Payout: Approximately $62 million.
- Dividend Per Share: $0.04800.
Material Changes
The filing does not report material changes in operations, financial condition, or results of operations compared to prior periods. The primary event is the declaration of the dividend.
Guidance, Outlook, and Unusual Items
The filing contains no forward-looking guidance, management commentary on future outlook, or discussion of risks and contingencies beyond standard tax withholding disclosures. The dividend payment includes specific conditions regarding currency conversion and tax withholding:
- Currency Conversion: Shareholders receiving payment in New Israeli Shekels (NIS) will have the final amount determined by the Bank of Israel's representative exchange rate on December 1, 2025.
- Eligibility: Dividends are paid only to registered shareholders entitled to receive US $2 or more.
- Tax Withholding: Israeli tax is withheld at varying rates (15%, 20%, or 25%) depending on the shareholder's residency status and the specific portion of the dividend, subject to applicable international tax treaties.
Key Facts for Investor Verification
- Record Date: December 2, 2025.
- Payment Date: December 17, 2025.
- Minimum Payout Threshold: Shareholders must be entitled to at least $2.00 to receive a payment.
- Currency Risk: NIS-denominated payments are subject to exchange rate fluctuations as of December 1, 2025.
- Tax Implications: Investors should verify their specific withholding tax rate based on residency and applicable treaties.