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Correspondence 0001654954-23-015744 from Envela Corp (ELA) (CIK 0000701719) (ELA)

Envela Corp (ELA) (CIK 0000701719)
Date: Dec. 19, 2023 · CIK: 0000701719 · Accession: 0001654954-23-015744

AI Filing Summary & Sentiment

File numbers found in text: 001-11048

Date
December 18, 2023
Author
/s/ Bret A. Pedersen
Form
CORRESP
Company
Envela Corp (ELA) (CIK 0000701719)

Letter

VIA EDGAR United States Securities and Exchange Commission Division of Corporation Finance Attention: Theresa Brillant Re: Envela Corporation – CIK #0000701719 Comments concerning Form 10-K for Fiscal Year Ended December 31, 2022 File # 001-11048

Dear Ms. Chaudhry,

This letter is in response to your comments received by electronic mail dated December 12, 2023, relating to the Company’s Form 10-K dated December 31, 2022, and filed on March 16, 2023. The numbered paragraphs below correspond to the numbered comments in your letter. Your comments are presented in bold italics.

Management’s Discussion and Analysis of Financial Condition and Results of Operations Use of Non-U.S. GAAP Financial Measures, page 19

1.

As your measure of “EBITDA” is adjusted for additional items other than interest, taxes and depreciation and amortization, please revise your disclosure to retitle this measure. Please see Question 103.1 of the Staff’s Compliance and Disclosure Interpretations on Non-GAAP Financial Measures for further guidance.

In response to Ms. Chaudhry’s comment, the Company will, for all future filings, revise the disclosure of EBITDA so that it will be retitled as Adjusted EBITDA to the extent EBITDA is adjusted for items other than interest, taxes and depreciation and amortization.

Results of Operations, page 21

2.

Please quantify, discuss, and analyze changes in costs of good sold for each segment on a stand-alone basis in addition to your current discussion on gross profit. Additionally, please quantify and discuss the significant components of costs of goods sold to the extent material. See Item 303 of Regulation S-K.

In response to Ms. Chaudhry’s comment, the Company will, for all future filings, quantify, discuss, and analyze changes in costs of goods sold for each segment on a stand-alone basis in addition to the Company’s current discussion on gross profit. In addition, to the extent material, the Company will quantify and discuss the significant components of costs of goods sold in future filings.

Should there be any additional questions or comments regarding the answers to Ms. Chaudhry’s comments, please do not hesitate to contact me at (469) 371-2388 or bpedersen@envela.com.

Sincerely,
/s/ Bret A. Pedersen

Show Raw Text
CORRESP
1
filename1.htm

ela_corresp.htm

 December 18, 2023

 Envela Corporation

 1901 Gateway Dr.

 Irving, TX 75238

 VIA EDGAR

 Accounting Branch Chief

 United States Securities and Exchange Commission

 Division of Corporation Finance

 100 F Street, NE

 Washington, DC 20549

     Attention:

   Aamira Chaudhry

   Theresa Brillant

 Re: Envela Corporation – CIK #0000701719

 Comments concerning Form 10-K for Fiscal Year Ended December 31, 2022

 File # 001-11048

 Dear Ms. Chaudhry,

 This letter is in response to your comments received by electronic mail dated December 12, 2023, relating to the Company’s Form 10-K dated December 31, 2022, and filed on March 16, 2023. The numbered paragraphs below correspond to the numbered comments in your letter. Your comments are presented in bold italics.

 Management’s Discussion and Analysis of Financial Condition and Results of Operations Use of Non-U.S. GAAP Financial Measures, page 19

     1.

   As your measure of “EBITDA” is adjusted for additional items other than interest, taxes and depreciation and amortization, please revise your disclosure to retitle this measure. Please see Question 103.1 of the Staff’s Compliance and Disclosure Interpretations on Non-GAAP Financial Measures for further guidance.

 In response to Ms. Chaudhry’s comment, the Company will, for all future filings, revise the disclosure of EBITDA so that it will be retitled as Adjusted EBITDA to the extent EBITDA is adjusted for items other than interest, taxes and depreciation and amortization.

 Results of Operations, page 21

     2.

   Please quantify, discuss, and analyze changes in costs of good sold for each segment on a stand-alone basis in addition to your current discussion on gross profit. Additionally, please quantify and discuss the significant components of costs of goods sold to the extent material. See Item 303 of Regulation S-K.

 In response to Ms. Chaudhry’s comment, the Company will, for all future filings, quantify, discuss, and analyze changes in costs of goods sold for each segment on a stand-alone basis in addition to the Company’s current discussion on gross profit. In addition, to the extent material, the Company will quantify and discuss the significant components of costs of goods sold in future filings.

 Should there be any additional questions or comments regarding the answers to Ms. Chaudhry’s comments, please do not hesitate to contact me at (469) 371-2388 or bpedersen@envela.com.

 Sincerely,

      /s/ Bret A. Pedersen

   Bret A. Pedersen

   Chief Financial Officer

 Envela Corporation    1901 Gateway Dr., Suite 100, Irving, TX  75038      972-587-4049

 AmericasActive:19385276.2