Full Press Release Details
Adviser, Listings Compliance (Melbourne)
refer to your letter dated 28 May 2026 regarding IMC's Price Query. The Company's responses to the numbered questions set
out in the letter are as follows:
Limited (ASX: IMC; NASDAQ: IMRN) (the Company) is not aware of any information concerning it that has not been announced to the market
which, if known, would explain the recent trading in the Company securities.
previously disclosed in the ASX/NASDAQ announcement lodged on 8 May 2026, the CEO, Steve Lydeamore, delivered a presentation at the Emerging
Growth Conference held in the United States.
Company confirms that it is in compliance with the Listing Rules and, in particular, Listing Rule 3.1.
response has been authorised and approved by the Board of Directors.
| Level 3, 62 Lygon Street, | www.immuron.com | Phone: + 61 (0)3 9824 5254 |
| Carlton South, Victoria | Facsimile: + 61 (0)3 9822 7735 | |
| AUSTRALIA 3053 | ABN: 80 063 114 045 |
email:o.smejkalova@acclime.com
Limited ( IMC'): Price Query
refers to the following:
light of this, ASX asks IMC to respond separately to each of the following questions and requests for information:
the answer to question 1 is "yes".
and where to send your response
request is made under Listing Rule 18.7. Your response is required as soon as reasonably possible and, in any event, by no later than
1:00 PM AEST Thursday, 28 May 2026.
should note that if the information requested by this letter is information required to be given to ASX under Listing Rule 3.1 and it
does not fall within the exceptions mentioned in Listing Rule 3.1A, IMC's obligation is to disclose the information immediately'.
This may require the information to be disclosed before the deadline set out in the previous paragraph and may require IMC to request
a trading halt immediately.
response should be sent by e-mail to ListingsComplianceMelbourne@asx.com.au. It should not be sent directly to the
ASX Market Announcements Office. This is to allow us to review your response to confirm that it is in a form appropriate for release
to the market, before it is published on the ASX Market Announcements Platform.
you are unable to respond to this letter by the time specified above, or if the answer to question 1 is "yes" and an announcement
cannot be made immediately, you should discuss with us whether it is appropriate to request a trading halt in IMC's securities
under Listing Rule 17.1. If you wish to request a trading halt, you must tell us:
require the request for a trading halt to be in writing. The trading halt cannot extend past the commencement of normal trading on the
second day after the day on which it is granted. You can find further information about trading halts in Guidance Note 16 Trading
Halts and Voluntary Suspensions.
you are unable to respond to this letter by the time specified above, ASX will likely suspend trading in IMC's securities under
Listing Rule 17.3.1.
responding to this letter, you should have regard to IMC's obligations under Listing Rules 3.1 and 3.1A and also to Guidance Note
8 Continuous Disclosure: Listing Rules 3.1 - 3.1B. It should be noted that IMC's obligation to disclose information
under Listing Rule 3.1 is not confined to, nor is it necessarily satisfied by, answering the questions set out in this letter.
of correspondence between ASX and entity
reserves the right to release all or any part of this letter, your reply and any other related correspondence between us to the market
under Listing Rule 18.7A. The usual course is for correspondence to be released to the market.