Correspondence 0000860546-23-000029 from COPT DEFENSE PROPERTIES (CDP) (CIK 0000860546) (CDP)
COPT DEFENSE PROPERTIES (CDP) (CIK 0000860546)
Date: June 8, 2023 · CIK: 0000860546 · Accession: 0000860546-23-000029
AI Filing Summary & Sentiment
File numbers found in text: 001-14023
Referenced dates: June 1, 2023
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CORRESP 1 filename1.htm Document 6711 Columbia Gateway Drive, Suite 300 Columbia, Maryland 21046-2104 Telephone 443-285-5400 Facsimile 443-285-7650 www.copt.com NYSE: OFC VIA EDGAR Mr. Mark Rakip Staff Accountant Office of Real Estate & Construction Division of Corporation Finance Securities and Exchange Commission 100 F Street, N.E. Washington, D.C. 20549 June 8, 2023 Re: Corporate Office Properties Trust Form 10-K for the fiscal year ended December 31, 2022 Filed February 24, 2023 File No. 001-14023 Dear Mr. Rakip: Corporate Office Properties Trust (“COPT”) is writing in response to the letter dated June 1, 2023 received from the Staff of the Securities and Exchange Commission regarding COPT’s Annual Report on Form 10-K for the year ended December 31, 2022. Our response to the Staff’s comment appearing in the letter is set forth below. For reference, the Staff’s comment, set forth in bold font, precedes the Company’s response. Form 10-K for fiscal year ended December 31, 2022 Item 7. Management’s Discussion and Analysis of Financial Condition and Results of Operations Results of Operations Funds from Operations, page 34 1.We note your presentation of Diluted FFO per share and Diluted FFO per share, as adjusted for comparability for which you note Diluted EPS is the most directly comparable GAAP measure. However given the impact of discontinued operations for the periods presented, it is unclear whether these non-GAAP financial measures contemplate discontinued operations. Therefore in future periodic filings, please present with equal or greater prominence the most directly comparable measure calculated in accordance with GAAP for these non-GAAP financial measures. Refer to Item 10(e)(1)(i)(A) of Regulation S-K and Question 102.10(a) of the Division’s Compliance and Disclosure Interpretations on Non-GAAP Financial Measures. Response: In future periodic filings, our disclosure of definitions for these non-GAAP measures will further clarify that such measures include discontinued operations. Moreover, in addition to continuing to present reconciliations of the numerators and denominators for these non-GAAP measures to their GAAP counterparts in future periodic filings, we will also present diluted earnings per share, the most comparable GAAP measure for these non-GAAP measures, with equal or greater prominence, directly in the reconciliation table. If you have any questions or wish to discuss any of the above matters in greater detail, please contact Matthew T. Myers, Senior Vice President, Chief Accounting Officer and Controller, at (443) 285-5572 or you may reach me at (443) 285-5502. Sincerely, /s/ Anthony Mifsud Anthony Mifsud Executive Vice President and Chief Financial Officer cc: Nicole Stroud, Audit Partner, PricewaterhouseCoopers LLP Justin W. Chairman, Partner, Morgan, Lewis & Bockius LLP Matthew T. Myers, Senior Vice President, Chief Accounting Officer and Controller