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Correspondence 0001280058-24-000060 from BLACKBAUD INC (BLKB)

BLACKBAUD INC
Date: Sept. 3, 2024 · CIK: 0001280058 · Accession: 0001280058-24-000060

AI Filing Summary & Sentiment

File numbers found in text: 001-41527

Referenced dates: August 23, 2024

Date
September 3, 2024
Author
/s/ Anthony W. Boor
Form
CORRESP
Company
BLACKBAUD INC

Letter

VIA EDGAR Securities and Exchange Commission Division of Corporation Finance Washington, DC 20549 Attention: Aliya Ishmukhamedova James Lopez

Re: Blackbaud, Inc. Form 10-K for Fiscal Year Ended December 31, 2023 File No. 001-41527

Dear Ms. Ishmukhamedova and Mr. Lopez:

Blackbaud, Inc. ( the “Company” or “we”) hereby submits this response to the comment regarding our Annual Report on Form 10-K for the year ended December 31, 2023 filed with the Securities and Exchange Commission (the “Commission”) on February 21, 2024 (the “Form 10-K”) delivered by your letter dated August 23, 2024 (the “Comment Letter”). For your convenience and reference, we repeat your comment below and our response follows.

Form 10-K for fiscal year ended December 31, 2023

Item 1C. Cybersecurity, page 30

1. We note the statement on page 31 that cybersecurity risk management has been and

remains a key aspect of your “overall business strategy, financial planning and capital

allocation and a point of ongoing emphasis at all levels.” Please revise future filings to

disclose whether and how your processes for assessing, identifying, and managing

material risks from cybersecurity threats have been integrated into your overall risk management system or processes. See Item 106(b)(1)(i) of Regulation S-K.

Company Response: The Company’s processes for assessing, identifying, and managing material risks from cybersecurity threats are, in fact, well integrated into the Company’s overall risk management system or processes in connection with our emphasis on cybersecurity at all levels of the Company, including as a key consideration in our overall business strategy, financial planning and capital allocation decisions, as noted on page 31 of the Company’s Form 10-K. The Company agrees to provide additional disclosure in future filings to include more detail and explanation regarding whether and how such

Sensitivity: Confidential

65 Fairchild Street, Charleston, SC 29492 T 1.800.443.9441 F 1.843.216.6100 blackbaud.com

Securities and Exchange Commission

Attention: Aliya Ishmukhamedova and James Lopez

September 3, 2024

Page 2

processes have been integrated into our overall risk management system or processes, in accordance with Item 106(b)(1)(i) of Regulation S-K and your comment.

* * *

The Company hereby acknowledges that the Company and its management are responsible for the accuracy and adequacy of the Company’s disclosures, notwithstanding any review, comments, action or absence of action by the Commission staff.

Please feel free to contact me by email or telephone (843.654.3300) if you have any questions or comments regarding the foregoing.

Sincerely yours,
/s/ Anthony W. Boor

Show Raw Text
CORRESP
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Document

September 3, 2024

VIA EDGAR

Securities and Exchange Commission
Division of Corporation Finance
Washington, DC 20549
Attention: Aliya Ishmukhamedova

         James Lopez

Re:    Blackbaud, Inc.
    Form 10-K for Fiscal Year Ended December 31, 2023
    File No. 001-41527

Dear Ms. Ishmukhamedova and Mr. Lopez:

Blackbaud, Inc. ( the “Company” or “we”) hereby submits this response to the comment regarding our Annual Report on Form 10-K for the year ended December 31, 2023 filed with the Securities and Exchange Commission (the “Commission”) on February 21, 2024 (the “Form 10-K”) delivered by your letter dated August 23, 2024 (the “Comment Letter”). For your convenience and reference, we repeat your comment below and our response follows.

Form 10-K for fiscal year ended December 31, 2023

Item 1C. Cybersecurity, page 30

1.    We note the statement on page 31 that cybersecurity risk management has been and

remains a key aspect of your “overall business strategy, financial planning and capital

allocation and a point of ongoing emphasis at all levels.” Please revise future filings to

disclose whether and how your processes for assessing, identifying, and managing

material risks from cybersecurity threats have been integrated into your overall risk management system or processes. See Item 106(b)(1)(i) of Regulation S-K.

Company Response: The Company’s processes for assessing, identifying, and managing material risks from cybersecurity threats are, in fact, well integrated into the Company’s overall risk management system or processes in connection with our emphasis on cybersecurity at all levels of the Company, including as a key consideration in our overall business strategy, financial planning and capital allocation decisions, as noted on page 31 of the Company’s Form 10-K.  The Company agrees to provide additional disclosure in future filings to include more detail and explanation regarding whether and how such

Sensitivity: Confidential

 65 Fairchild Street, Charleston, SC 29492      T 1.800.443.9441   F 1.843.216.6100    blackbaud.com

Securities and Exchange Commission

Attention:  Aliya Ishmukhamedova and James Lopez

September 3, 2024

Page 2

processes have been integrated into our overall risk management system or processes, in accordance with Item 106(b)(1)(i) of Regulation S-K and your comment.

*    *    *

The Company hereby acknowledges that the Company and its management are responsible for the accuracy and adequacy of the Company’s disclosures, notwithstanding any review, comments, action or absence of action by the Commission staff.

Please feel free to contact me by email or telephone (843.654.3300) if you have any questions or comments regarding the foregoing.

   Sincerely yours,

   /s/ Anthony W. Boor

   Anthony W. Boor

   Executive Vice President and Chief Financial Officer

Sensitivity: Confidential