SecProbe.io

Filing text and metadata
Intelligence Terminal Search Topics Monthly Activity About

Correspondence 0001683168-24-003010 from INSEEGO CORP. (INSG)

INSEEGO CORP.
Date: May 6, 2024 · CIK: 0001022652 · Accession: 0001683168-24-003010

AI Filing Summary & Sentiment

Sentiment
Urgency
Document Type
Confidence
SEC Posture
Company Posture

Summary

Reasoning

File numbers found in text: 001-38358

Referenced dates: April 23, 2024, April 9, 2024

Date
May 6, 2024
Author
/s/ Steven Gatoff
Form
CORRESP
Company
INSEEGO CORP.

Letter

Securities and Exchange Commission Division of Corporate Finance Office of Manufacturing Form 10-K for the Fiscal Year Ended December 31, 2023 Form 8-K filed February 21, 2024 Response dated April 17, 2024 File No. 001-38358

Dear Mr. Gordon and Ms. McConnell:

On behalf of Inseego Corp. (the “Company”), this letter responds to the comment issued by the staff of the Division of Corporate Finance, Office of Manufacturing (the “Staff”) of the U.S. Securities and Exchange Commission (“Commission”) in a letter dated April 23, 2024 regarding to the Company’s response to the Staff’s comment letter dated April 9, 2024 relating to the Company’s Annual Report on Form 10-K for the fiscal year ended December 31, 2023 and Current Report on Form 8-K that was furnished with the Commission on February 21, 2024 (the “Form 8-K”). For your convenience, the Staff’s comment is included in this letter and is followed by the response of the Company.

Form 8-K filed on February 21, 2024

Exhibit 99.1, page 1

We have reviewed your response to prior comment 2. It appears to us that managing inventory levels is an integral aspect of your business; as such, it continues to appear to us your non-GAAP adjustments for "inventory adjustment - E&O and contract manufacturer liability" and "write-off of capitalized inventory fees" represent normal operating expenses necessary to operate your business and are not consistent with the guidance in Question 100.01 of the Division of Corporation Finance's Compliance & Disclosure Interpretations on Non-GAAP Financial Measures. Please revise future filings to no longer exclude these adjustments from any non-GAAP performance measure.

The Company acknowledges the Staff’s comment and will not exclude these adjustments from any non-GAAP performance measure for future periods.

If you have any questions with regard to the Company’s responses or would like to discuss any of the matters covered in this letter, please contact the undersigned at (858) 812-3415.

Sincerely,
/s/ Steven Gatoff

Show Raw Text
CORRESP
1
filename1.htm

Via EGDAR

May 6, 2024

Securities and Exchange Commission

Division of Corporate Finance

Office of Manufacturing

100 F Street, NE

Washington, DC 20549

Attn: Jeffrey Gordon and Anne McConnell

  Re:
  Re: Inseego Corp.

Form 10-K for the Fiscal Year Ended December 31, 2023

Form 8-K filed February 21, 2024

Response dated April 17, 2024

File No. 001-38358

Dear Mr. Gordon and Ms. McConnell:

On behalf of Inseego Corp. (the “Company”), this letter
responds to the comment issued by the staff of the Division of Corporate Finance, Office of Manufacturing (the “Staff”) of
the U.S. Securities and Exchange Commission (“Commission”) in a letter dated April 23, 2024 regarding to the Company’s
response to the Staff’s comment letter dated April 9, 2024 relating to the Company’s Annual Report on Form 10-K for the fiscal
year ended December 31, 2023 and Current Report on Form 8-K that was furnished with the Commission on February 21, 2024 (the “Form
8-K”). For your convenience, the Staff’s comment is included in this letter and is followed by the response of the Company.

Form 8-K filed on February 21, 2024

Exhibit 99.1, page 1

We have reviewed your response to prior comment 2. It appears
to us that managing inventory levels is an integral aspect of your business; as such, it continues to appear to us your non-GAAP adjustments
for "inventory adjustment - E&O and contract manufacturer liability" and "write-off of capitalized inventory fees"
represent normal operating expenses necessary to operate your business and are not consistent with the guidance in Question 100.01 of
the Division of Corporation Finance's Compliance & Disclosure Interpretations on Non-GAAP Financial Measures. Please revise future
filings to no longer exclude these adjustments from any non-GAAP performance measure.

The Company acknowledges the Staff’s comment and will not exclude
these adjustments from any non-GAAP performance measure for future periods.

If you have any questions with regard to the Company’s responses
or would like to discuss any of the matters covered in this letter, please contact the undersigned at (858) 812-3415.

Sincerely,

/s/ Steven Gatoff

Steven Gatoff

Chief Financial Officer