+63.636% units YoYNo mandated tech stackHQ-led decisions

Wize Computing Academy Franchising

Youth services

Software purchasing authority at Wize Computing Academy appears to rest with franchisor leadership, given the single-operator footprint and lack of disclosed multi-unit owners. The most recent FDD does not name any mandated or recommended technology systems. With 37 total units and 63.6% year-over-year unit growth, the addressable market is small but expanding rapidly.

Live signals

Total units
37
36 franchised
Unit growth YoY
+63.636%
vs prior filing
AUV
$99K
Item 19, 2026
Royalty
8%
of gross sales
Ad fund
2%
national + local
Initial fee
$50K
per unit
Investment range
$59K–$90K
all-in, Item 7
Procurement
Approved supplier
from the filing

The vendor opportunity at Wize Computing Academy

Wize Computing Academy is a youth-services franchise based in Texas with 37 total units—36 franchised and 1 company-owned. The system posted 63.6% year-over-year unit growth, signaling a rapidly expanding footprint. Average unit volume sits at $98,674, with an 8.0% royalty rate and a 10-year initial term. For software vendors, the immediate addressable market is small: 37 locations concentrated primarily in Texas (11), Florida (4), California (3), Virginia (3), and North Carolina (2). However, the growth trajectory suggests a widening window for technology adoption as new franchisees come online.

No parent company is on file, indicating the brand is independently owned. The operator footprint consists of 35 mapped operators, all single-unit owners. No multi-unit operators are recorded. This structure typically concentrates technology purchasing decisions at the franchisor level rather than dispersing them across large franchisee groups.

Who controls software purchasing

The 2026 FDD names only one individual in its Item 1 disclosures: Vishal Bhasin, listed as agent for service of process. No other executives—such as a CIO, CTO, or VP of Operations—are identified. In the absence of named technology leadership, initial outreach should target the franchisor’s corporate office. With zero multi-unit operators, there is no secondary buying center among large franchisees. The single-operator profile means every franchisee is a potential end user, but the franchisor likely holds veto power over any system-wide software adoption.

Mandated and current tech stack

The 2026 FDD does not capture any mandated or recommended technology systems. No POS, scheduling, CRM, or learning-management platforms are disclosed. This absence can represent either a greenfield opportunity or a system that has not formalized its tech stack in franchise disclosure documents. Vendors should approach discovery calls prepared to map the existing manual or ad-hoc processes that a youth-services concept of this size typically relies on—class registration, parent communication, billing, and instructor scheduling.

Procurement, renewals, and timing

Item 8 of the FDD, which typically details procurement obligations, provided no extract. This means the franchisor’s policy on designated suppliers, approved vendors, or open purchasing is not publicly known from the disclosure document. Renewal terms, outlined in Item 17, allow franchisees in good standing to renew for additional 10-year periods. Renewing franchisees must sign a new agreement and pay a renewal fee. Critically, the franchisor may require signing a contract with materially different terms than the original, though the territory boundaries remain unchanged and the continuing royalty will not exceed the rate imposed on similarly situated renewing franchisees. Franchisees must also remodel or refurbish any commercial facility to then-current standards. These renewal-triggered upgrades can create natural openings for technology vendors to propose new systems as part of a broader refresh.

How to read the Wize Computing Academy FDD

The full FDD is embedded below for your review. It was filed with state franchise regulators in 2026 and contains the legal and operational disclosures that govern the franchise relationship. Key sections for software vendors include Item 11 (Franchisor’s Obligations) for any technology requirements, Item 8 (Restrictions on Sources of Products and Services) for procurement rules, and Item 17 (Renewal, Termination, Transfer) for contract-cycle timing. Because no systems are named in our extract, direct examination of the full document is essential to confirm whether any tech mandates exist outside the captured fields. For a ranked target list of franchise systems matched to your software category, FranCloud can help.

Questions vendors ask

Wize Computing Academy Franchising, answered from the filing

The FDD lists only Vishal Bhasin as agent for service of process. No other executives are named. With no multi-unit operators, purchasing decisions likely concentrate at the franchisor level.
The 2026 FDD does not disclose any mandated or recommended POS, operational, or other technology systems for franchisees.
There are 37 total units: 36 franchised and 1 company-owned. The top states are Texas (11), Florida (4), California (3), Virginia (3), and North Carolina (2).
The procurement model is not disclosed in the 2026 FDD. Item 8, which typically outlines designated or approved supplier requirements, provided no extract.
Initial terms are 10 years. Renewals are for additional 10-year terms if in good standing. Franchisees may be required to sign a materially different agreement and remodel facilities to current standards.
The FDD was filed with state franchise regulators in 2026. You can review the embedded PDF viewer below for the full document.
Source

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Operator footprint

Who runs the locations

35 operators run 35 mapped locations — 0 of them are multi-unit. Aggregate counts from the filing; no names.

Operators by units owned

Single-unit35

Top states by locations

TX11
FL4
CA3
VA3
NC2