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SEC Comment Letter 0000000000-25-003720 to TYLER TECHNOLOGIES INC (TYL)

TYLER TECHNOLOGIES INC
Date: April 7, 2025 · CIK: 0000860731 · Accession: 0000000000-25-003720

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File numbers found in text: 001-10485

Date
April 7, 2025
Author
Division of
Form
UPLOAD
Company
TYLER TECHNOLOGIES INC

Letter

Re: Tyler Technologies, Inc. Form 10-K for the Fiscal Year Ended December 31, 2024 Filed February 19, 2025 File No. 001-10485 Dear Brian K. Miller:

April 7, 2025

Brian K. Miller Chief Financial Officer Tyler Technologies, Inc. 5101 Tennyson Parkway Plano, Texas 75024

We have limited our review of your filing 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 December 31, 2024 Management s Discussion and Analysis of Financial Condition and Results of Operations Analysis of Results of Operations and Other, page 32

1. We note your presentation and discussion of revenues by segment. However, we note that you do not include a discussion and analysis of each segment's profit. Please tell us what consideration was given to whether a discussion of segment profit information would be necessary to an understanding of your business. Refer to Item 303(b) of Regulation S-K. Consolidated Financial Statements Note (2) Segment and Related Information, page F-16

2. You disclose that the primary measure used by the chief operating decision maker ( CODM ) is segment income or loss from operations; however, we note that you also present segment gross profit. Please tell us whether the CODM receives segment gross profit for each reportable segment and how it is used. If the CODM uses more April 7, 2025 Page 2

than one measure of segment profit or loss, such as segment gross profit and segment operating income, to assess segment performance and to decide how to allocate resources, tell us which of the reported segment profit or loss measures is required to be disclosed in accordance with ASC 280-10-50-28A. In this regard, the measure required to be disclosed is that which management believes is determined in accordance with the measurement principles most consistent with those used in measuring the corresponding amounts in the consolidated financial statements. Additional measures may be disclosed pursuant to ASC 280-10-50-28A through 50- 28C. 3. In connection with your response to the preceding comment, if both segment gross profit and segment operating income are used by the CODM and will be disclosed: Please tell us how you considered the disclosures required by ASC 280-10-50- 29(f) for segment gross profit; and Please tell us what consideration was given to identifying the additional measure of segment profit or loss as non-GAAP and providing the disclosures required by Item 10(e)(1)(i) of Regulation S-K in the filing. 4. Please revise future filings to reconcile the total of the reportable segments amount for each measure of profit or loss to consolidated income before income taxes. Refer to ASC 280-10-50-30(b) and ASC 280-10-50-28C. The reconciliation should include a single amount for the subtotal of the reportable segments measures of profit or loss with a reconciliation of that amount to consolidated income before income taxes. In this regard, the segment note currently includes a Corporate column which appears to result in the presentation of non-GAAP measures of consolidated segment gross profit and consolidated segment operating income. Similarly revise to reconcile other total reportable segments amounts to consolidated amounts, such as the total of the reportable segments assets to consolidated assets. Refer to ASC 280-10-50-30. 5. Please provide us with proposed disclosure that is responsive to the concerns noted in the comments above. 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 Christine Dietz at 202-551-3408 with any questions.

Sincerely,
Division of
Corporation Finance
Office of
Technology

Show Raw Text
<DOCUMENT>
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<TEXT>
 April 7, 2025

Brian K. Miller
Chief Financial Officer
Tyler Technologies, Inc.
5101 Tennyson Parkway
Plano, Texas 75024

 Re: Tyler Technologies, Inc.
 Form 10-K for the Fiscal Year Ended December 31, 2024
 Filed February 19, 2025
 File No. 001-10485
Dear Brian K. Miller:

 We have limited our review of your filing 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 December 31, 2024
Management s Discussion and Analysis of Financial Condition and Results of
Operations
Analysis of Results of Operations and Other, page 32

1. We note your presentation and discussion of revenues by segment.
However, we note
 that you do not include a discussion and analysis of each segment's
profit. Please tell
 us what consideration was given to whether a discussion of segment
profit
 information would be necessary to an understanding of your business.
Refer to Item
 303(b) of Regulation S-K.
Consolidated Financial Statements
Note (2) Segment and Related Information, page F-16

2. You disclose that the primary measure used by the chief operating
decision maker
 ( CODM ) is segment income or loss from operations; however, we note
that you
 also present segment gross profit. Please tell us whether the CODM
receives segment
 gross profit for each reportable segment and how it is used. If the CODM
uses more
 April 7, 2025
Page 2

 than one measure of segment profit or loss, such as segment gross profit
and segment
 operating income, to assess segment performance and to decide how to
allocate
 resources, tell us which of the reported segment profit or loss measures
is required to
 be disclosed in accordance with ASC 280-10-50-28A. In this regard, the
measure
 required to be disclosed is that which management believes is determined
in
 accordance with the measurement principles most consistent with those
used in
 measuring the corresponding amounts in the consolidated financial
statements.
 Additional measures may be disclosed pursuant to ASC 280-10-50-28A
through 50-
 28C.
3. In connection with your response to the preceding comment, if both
segment gross
 profit and segment operating income are used by the CODM and will be
disclosed:
 Please tell us how you considered the disclosures required by ASC
280-10-50-
 29(f) for segment gross profit; and
 Please tell us what consideration was given to identifying the
additional measure
 of segment profit or loss as non-GAAP and providing the disclosures
required by
 Item 10(e)(1)(i) of Regulation S-K in the filing.
4. Please revise future filings to reconcile the total of the reportable
segments amount
 for each measure of profit or loss to consolidated income before income
taxes. Refer
 to ASC 280-10-50-30(b) and ASC 280-10-50-28C. The reconciliation should
include
 a single amount for the subtotal of the reportable segments measures
of profit or loss
 with a reconciliation of that amount to consolidated income before
income taxes. In
 this regard, the segment note currently includes a Corporate column
which appears to
 result in the presentation of non-GAAP measures of consolidated segment
gross profit
 and consolidated segment operating income. Similarly revise to reconcile
other total
 reportable segments amounts to consolidated amounts, such as the
total of the
 reportable segments assets to consolidated assets. Refer to ASC
280-10-50-30.
5. Please provide us with proposed disclosure that is responsive to the
concerns noted in
 the comments above.
 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 Christine Dietz at 202-551-3408 with any questions.

 Sincerely,

 Division of
Corporation Finance
 Office of
Technology
</TEXT>
</DOCUMENT>