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Correspondence 0000943374-23-000002 from HANMI FINANCIAL CORP (HAFC) (CIK 0001109242) (HAFC)

HANMI FINANCIAL CORP (HAFC) (CIK 0001109242)
Date: Jan. 4, 2023 · CIK: 0001109242 · Accession: 0000943374-23-000002

AI Filing Summary & Sentiment

File numbers found in text: 000-30421

Referenced dates: December 22, 2022

Date
January 4, 2023
Author
/s/ Romolo Santarosa
Form
CORRESP
Company
HANMI FINANCIAL CORP (HAFC) (CIK 0001109242)

Letter

Form 10-K for the Fiscal Year Ended December 31, 2021 Filed February 28, 2022 File No. 000-30421

Re: Hanmi Financial Corporation

Dear Mr. Empie:

On behalf of Hanmi Financial Corporation (the “Company”) set forth below is the comment from the Staff’s letter dated December 22, 2022, as well as the Company’s response to that comment.

Form 10-K For the Fiscal Year Ended December 31, 2021

Item 7. Management's Discussion and Analysis of Financial Condition and Results of Operations

Critical Accounting Policies, page 29

1.

We note that you do not include disclosure of any critical accounting estimate(s). Provide this disclosure in future filings. Your disclosures should explain why each critical accounting estimate is subject to uncertainty and, to the extent the information is material and reasonably available, how much each estimate and/or assumption has changed over a relevant period, and the sensitivity of the reported amounts to the material methods, assumptions and estimates underlying its calculation. Ensure that the disclosure of your critical accounting estimate(s) is not a repetition of your significant accounting policies. Refer to Item 303(b)(3) of Regulation S-K.

The Company has reviewed Item 303(b)(3) of Regulation S-K and the final copy of the adopting release entitled “Management’s Discussion and Analysis, Selected Financial Data, and Supplementary Financial Information” from which the rule was established. The Company has researched sample disclosure from comparable companies and engaged in initial discussions regarding the required additional disclosure with internal financial reporting and accounting personnel, outside legal counsel and its independent registered public accountants. As a result of such research and discussions, the Company can confirm that it will include the required disclosure in future periodic reports.

* * * * *

We believe the foregoing is responsive to the staff’s comments. Should you have any questions, please do not hesitate to contact the undersigned at (213) 427-5636.

Very truly yours,
/s/ Romolo Santarosa

Show Raw Text
CORRESP
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    [HANMI FINANCIAL CORPORATION LETTERHEAD]

    January 4, 2023

    Lory Empie

    Staff Accountant

    U.S. Securities and Exchange Commission

    100 F Street, N.E.

    Washington, DC 20549-0303

    Re:       Hanmi Financial Corporation

    Form 10-K for the Fiscal Year Ended December 31, 2021

    Filed February 28, 2022

    File No. 000-30421

    Dear Mr. Empie:

    On behalf of Hanmi Financial Corporation (the “Company”) set forth below is the comment from the Staff’s letter dated December 22, 2022, as
      well as the Company’s response to that comment.

    Form 10-K For the Fiscal Year Ended December 31, 2021

    Item 7. Management's Discussion and Analysis of Financial Condition and Results of Operations

    Critical Accounting Policies, page 29

          1.

            We note that you do not include disclosure of any critical accounting estimate(s). Provide this disclosure in future filings. Your disclosures should
              explain why each critical accounting estimate is subject to uncertainty and, to the extent the information is material and reasonably available, how much each estimate and/or assumption has changed over a relevant period, and the sensitivity
              of the reported amounts to the material methods, assumptions and estimates underlying its calculation. Ensure that the disclosure of your critical accounting estimate(s) is not a repetition of your significant accounting policies. Refer to
              Item 303(b)(3) of Regulation S-K.

    The Company has reviewed Item 303(b)(3) of Regulation S-K and the final copy of the adopting release entitled “Management’s Discussion and
      Analysis, Selected Financial Data, and Supplementary Financial Information” from which the rule was established.  The Company has researched sample disclosure from comparable companies and engaged in initial discussions regarding the required
      additional disclosure with internal financial reporting and accounting personnel, outside legal counsel and its independent registered public accountants.  As a result of such research and discussions, the Company can confirm that it will include the
      required disclosure in future periodic reports.

    *   *   *   *   *

    We believe the foregoing is responsive to the staff’s comments.  Should you have any questions, please do not hesitate to contact the
      undersigned at (213) 427-5636.

    Very truly yours,

    /s/ Romolo Santarosa

    Romolo Santarosa

    Senior Executive Vice President and CFO