Exhibit 99.1
Chord Energy Corporation
Resource Extraction Payment Report
For the Year Ended December 31, 2025
The table below sets forth payments made by Chord Energy Corporation (the “Company” or “Chord”) to the U.S. Federal Government and foreign governments during the fiscal year ended December 31, 2025 for the purpose of the commercial development of oil and natural gas. Substantially all of the Company's operations relate to projects in North Dakota and Montana, which include the commercial development of oil and natural gas using wells located in the Williston Basin of the United States.
For the year ended December 31, 2025
Payment CurrencyPayment typeNational and major subnational jurisdiction (ISO 3166 Code)GovernmentBusiness segmentProjectResourceMethod of extraction
Amount (1) (2)
(USD in thousands)
USDTaxesUSU.S. Federal GovernmentCrude oil, NGL and natural gas(2)——$73,000 
CADTaxesCAFederal Government of CanadaCrude oil, NGL and natural gas(2)——2,526 
Total TaxesCrude oil, NGL and natural gas———$75,526 
USDRoyaltiesUS-NDU.S. Federal GovernmentCrude oil, NGL and natural gasNorth DakotaOil and natural gasWells$267,923 
USDRoyaltiesUS-MTU.S. Federal GovernmentCrude oil, NGL and natural gasMontanaOil and natural gasWells452 
Total RoyaltiesCrude oil, NGL and natural gas—Oil and natural gasWells$268,375 
USDFeesUS-NDU.S. Federal GovernmentCrude oil, NGL and natural gasNorth DakotaOil and natural gasWells$941 
CADFeesCA-ABGovernment of Alberta, CanadaCrude oil, NGL and natural gasCanadaOil and natural gasWells147 
Total FeesCrude oil, NGL and natural gas—Oil and natural gasWells$1,088 
Total$344,989 
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(1)Payments made in Canadian dollars were translated into U.S. dollars based on the exchange rate as of December 31, 2025.
(2)The Company files consolidated income tax returns in both the U.S. and Canada, each of which include all entities within the respective consolidated group. The U.S. Federal Government and the Federal Government of Canada each levy corporate income taxes on a consolidated group basis rather than on a per-project basis. Accordingly, and in accordance with Instruction 4 to Item 2.01 of Form SD, the Company has disclosed these income tax payments at the consolidated group level. The payments relate to the Company’s consolidated income in each respective country and are not attributable to particular projects.

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