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SEC Comment Letter 0000000000-23-013104 to MCCORMICK & CO INC (MKC, MKC-V) (CIK 0000063754) (MKC)

MCCORMICK & CO INC (MKC, MKC-V) (CIK 0000063754)
Date: Dec. 1, 2023 · CIK: 0000063754 · Accession: 0000000000-23-013104

AI Filing Summary & Sentiment

File numbers found in text: 001-14920

Date
November 30, 2023
Author
Not clearly detected
Form
UPLOAD
Company
MCCORMICK & CO INC (MKC, MKC-V) (CIK 0000063754)

Letter

United States securities and exchange commission logo November 30, 2023 Mike Smith Executive Vice President and Chief Financial Officer McCORMICK & COMPANY, INCORPORATED 18 Loveton Circle, Sparks, Maryland 21152 Re:McCORMICK & COMPANY, INCORPORATED Form 10-K for the Fiscal Year Ended November 30, 2022 Filed January 26, 2023 Form 8-K furnished October 3, 2023 File No. 001-14920 Dear Mike Smith: We have limited our review of your filings to the financial statements and related disclosures and have the following comments. Please respond to this letter within ten business days by providing the requested information or advise us as soon as possible when you will respond. If you do not believe a comment applies to your facts and circumstances, please tell us why in your response. After reviewing your response to this letter, we may have additional comments. Form 10-K for the Fiscal Year Ended November 30, 2022 16. Business Segments and Geographical Areas, page 91 1.We note your reconciliation of operating income excluding special charges and transaction and integration expenses, to operating income. Please note that ASC 280-10- 50-30(b) requires a reconciliation of the total of the reportable segments’ measures of profit or loss to the public entity’s consolidated income before income taxes. In future filings, please revise your reconciliation to comply with this guidance. 2.We note your disclosure that it is impracticable to segregate and identify sales and profits for each of the individual product lines. We also note your disclosure of sales by product category for both reportable segments in your annual report for FY2022 and reference to growth in these product categories in earnings calls. Please tell us what consideration you gave to presenting disaggregated revenue by product category, such as spices and seasonings, herbs, recipe mixes, hot sauce, etc. Refer to ASC 280-10-50-40 and ASC

FirstName LastNameMike Smith Comapany NameMcCORMICK & COMPANY, INCORPORATED November 30, 2023 Page 2 FirstName LastName Mike Smith McCORMICK & COMPANY, INCORPORATED November 30, 2023 Page 2 606-10-55-89 through 91. 3.Please disclose the amount of revenues from external customers attributed to an individual foreign country and the amount of long-lived assets in an individual foreign country, if material, in future filings. Refer to ASC 280-10-50-41. Form 8-K furnished October 3, 2023 Exhibit 99.1 Earnings Release, page 7 4.We note that in your reconciliations of Non-GAAP financial measures to the most comparable GAAP measure, you include disclosure of adjusted operating income margin and adjusted income tax rate without presentation of the most comparable GAAP measure which would be GAAP operating income margin and income tax rate, respectively. Please revise future filings accordingly. See guidance in Question 102.10(a) of the SEC Staff’s Compliance & Disclosure Interpretation on Non-GAAP Financial Measures. In closing, we remind you that the company and its management are responsible for the accuracy and adequacy of their disclosures, notwithstanding any review, comments, action or absence of action by the staff. Please contact Len Jui at 202-551-6693 or Claire Erlanger at 202-551-3301 with any questions. Sincerely, Division of Corporation Finance Office of Manufacturing

Show Raw Text
United States securities and exchange commission logo
November 30, 2023
Mike Smith
Executive Vice President and Chief Financial Officer
McCORMICK & COMPANY, INCORPORATED
18 Loveton Circle,
Sparks, Maryland 21152
Re:McCORMICK & COMPANY, INCORPORATED
Form 10-K for the Fiscal Year Ended November 30, 2022
Filed January 26, 2023
Form 8-K furnished October 3, 2023
File No. 001-14920
Dear Mike Smith:
            We have limited our review of your filings to the financial statements and related
disclosures and have the following comments.
            Please respond to this letter within ten business days by providing the requested
information or advise us as soon as possible when you will respond. If you do not believe a
comment applies to your facts and circumstances, please tell us why in your response.
            After reviewing your response to this letter, we may have additional comments.
Form 10-K for the Fiscal Year Ended November 30, 2022
16. Business Segments and Geographical Areas, page 91
1.We note your reconciliation of operating income excluding special charges and
transaction and integration expenses, to operating income.  Please note that ASC 280-10-
50-30(b) requires a reconciliation of the total of the reportable segments’ measures of
profit or loss to the public entity’s consolidated income before income taxes.  In future
filings, please revise your reconciliation to comply with this guidance.
2.We note your disclosure that it is impracticable to segregate and identify sales and profits
for each of the individual product lines.  We also note your disclosure of sales by product
category for both reportable segments in your annual report for FY2022 and reference to
growth in these product categories in earnings calls.  Please tell us what consideration you
gave to presenting disaggregated revenue by product category, such as spices and
seasonings, herbs, recipe mixes, hot sauce, etc.  Refer to ASC 280-10-50-40 and ASC

 FirstName LastNameMike  Smith
 Comapany NameMcCORMICK & COMPANY, INCORPORATED
 November 30, 2023 Page 2
 FirstName LastName
Mike  Smith
McCORMICK & COMPANY, INCORPORATED
November 30, 2023
Page 2
606-10-55-89 through 91.
3.Please disclose the amount of revenues from external customers attributed to an individual
foreign country and the amount of long-lived assets in an individual foreign country, if
material, in future filings.  Refer to ASC 280-10-50-41.
Form 8-K furnished October 3, 2023
Exhibit 99.1 Earnings Release, page 7
4.We note that in your reconciliations of Non-GAAP financial measures to the most
comparable GAAP measure, you include disclosure of adjusted operating income margin
and adjusted income tax rate without presentation of the most comparable GAAP measure
which would be GAAP operating income margin and income tax rate, respectively.
Please revise future filings accordingly.  See guidance in Question 102.10(a) of the SEC
Staff’s Compliance & Disclosure Interpretation on Non-GAAP Financial Measures.
            In closing, we remind you that the company and its management are responsible for the
accuracy and adequacy of their disclosures, notwithstanding any review, comments, action or
absence of action by the staff.
            Please contact Len Jui at 202-551-6693 or Claire Erlanger at 202-551-3301 with any
questions.
Sincerely,
Division of Corporation Finance
Office of Manufacturing