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Correspondence 0000746838-23-000045 from UNISYS CORP (UIS)

UNISYS CORP
Date: Sept. 21, 2023 · CIK: 0000746838 · Accession: 0000746838-23-000045

AI Filing Summary & Sentiment

File numbers found in text: 001-08729

Referenced dates: September 13, 2023

Date
September 21, 2023
Author
/s/ Debra McCann
Form
CORRESP
Company
UNISYS CORP

Letter

Re: Unisys Corporation

Document

September 21, 2023

Via EDGAR Submission

Disclosure Review Program

Division of Corporation Finance

United States Securities and Exchange Commissions

Washington, D.C. 20549

Definitive Proxy Statement on Schedule 14A

Filed March 24, 2023

File No. 001-08729

Ladies and Gentlemen:

This letter is submitted in response to the comments contained in the letter dated September 13, 2023, from the Disclosure Review Program of the Division of Corporation Finance (the “Staff”) of the Securities and Exchange Commission to Debra McCann, Executive Vice President and Chief Financial Officer of Unisys Corporation (the “Company”), regarding the Company’s Definitive Proxy Statement on Schedule 14A filed on March 24, 2023 (the “2023 Proxy”).

The comments and responses set forth below are keyed to the numbering of the comments and the headings used in the Staff’s September 13, 2023, letter.

Definitive Proxy Statement on Schedule 14A filed March 24, 2023

Pay versus Performance, page 59

1.Please ensure that the graphic under the heading "Description of Relationship Between Company TSR and Peer Group TSR" is correctly labeled to indicate the relevant fiscal years shown in the graphic.

Company Response:

The Company acknowledges the Staff’s comment. The fiscal years labels were inadvertently left off the graphic under the heading “Description of Relationship Between Company TSR and Peer Group TSR” in the 2023 Proxy. The Company confirms that its future proxy disclosures shall correctly label the relevant fiscal years shown in any pay-versus-performance graphics.

2.We note that you have included Non-GAAP Operating Profit as your Company-Selected Measure pursuant to Regulation S-K Item 402(v)(2)(vi). Please include your Company-Selected Measure in the Tabular List provided pursuant to Regulation S-K Item 402(v)(6).

Company Response:

The Company acknowledges the Staff’s comment and confirms that its future proxy disclosures shall include the Company-Selected Measure disclosed pursuant to Regulation S-K Item

402(v)(2)(vi) in the Tabular List of the Most Important Financial Measures provided pursuant to Regulation S-K Item 402(v)(6).

If the Staff has further questions on this letter, please do not hesitate to call me at (215) 274-1816.

Sincerely,
/s/ Debra McCann

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CORRESP
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filename1.htm

Document

September 21, 2023

Via EDGAR Submission

Disclosure Review Program

Division of Corporation Finance

United States Securities and Exchange Commissions

Washington, D.C. 20549

Re: Unisys Corporation

Definitive Proxy Statement on Schedule 14A

Filed March 24, 2023

File No. 001-08729

Ladies and Gentlemen:

This letter is submitted in response to the comments contained in the letter dated September 13, 2023, from the Disclosure Review Program of the Division of Corporation Finance (the “Staff”) of the Securities and Exchange Commission to Debra McCann, Executive Vice President and Chief Financial Officer of Unisys Corporation (the “Company”), regarding the Company’s Definitive Proxy Statement on Schedule 14A filed on March 24, 2023 (the “2023 Proxy”).

The comments and responses set forth below are keyed to the numbering of the comments and the headings used in the Staff’s September 13, 2023, letter.

Definitive Proxy Statement on Schedule 14A filed March 24, 2023

Pay versus Performance, page 59

1.Please ensure that the graphic under the heading "Description of Relationship Between Company TSR and Peer Group TSR" is correctly labeled to indicate the relevant fiscal years shown in the graphic.

Company Response:

The Company acknowledges the Staff’s comment.  The fiscal years labels were inadvertently left off the graphic under the heading “Description of Relationship Between Company TSR and Peer Group TSR” in the 2023 Proxy. The Company confirms that its future proxy disclosures shall correctly label the relevant fiscal years shown in any pay-versus-performance graphics.

2.We note that you have included Non-GAAP Operating Profit as your Company-Selected Measure pursuant to Regulation S-K Item 402(v)(2)(vi). Please include your Company-Selected Measure in the Tabular List provided pursuant to Regulation S-K Item 402(v)(6).

Company Response:

The Company acknowledges the Staff’s comment and confirms that its future proxy disclosures shall include the Company-Selected Measure disclosed pursuant to Regulation S-K Item

402(v)(2)(vi) in the Tabular List of the Most Important Financial Measures provided pursuant to Regulation S-K Item 402(v)(6).

If the Staff has further questions on this letter, please do not hesitate to call me at (215) 274-1816.

Sincerely,

 /s/ Debra McCann

 Debra McCann

 Executive Vice President and Chief Financial Officer

 Unisys Corporation