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Correspondence 0001420800-22-000026 from Enovis CORP (ENOV) (CIK 0001420800) (ENOV)

Enovis CORP (ENOV) (CIK 0001420800)
Date: Dec. 6, 2022 · CIK: 0001420800 · Accession: 0001420800-22-000026

AI Filing Summary & Sentiment

File numbers found in text: 001-34045

Referenced dates: November 22, 2022

Date
December 6, 2022
Author
/s/ Christopher M. Hix
Form
CORRESP
Company
Enovis CORP (ENOV) (CIK 0001420800)

Letter

United States VIA EDGAR Division of Corporation Finance Office of Industrial Applications and Services Attention: Ms. Kristin Lochhead and Brian Cascio Filed February 22, 2022 Form 10-Q for the Quarterly Period Ended September 30, 2022 Filed November 2, 2022 File No. 001-34045

Dear Ms. Lochhead and Mr. Cascio:

We are writing in response to the comment we received from the staff of the Securities and Exchange Commission (the “Staff”) by letter dated November 22, 2022 regarding the above-referenced filings of Enovis Corporation (the “Company” or “we”). For ease of reference, we have also reproduced below the text of the Staff's comment in italics directly above the Company’s response.

Form 10-Q for the Quarterly Period Ended September 30, 2022

Condensed Consolidated Financial Statements for the Nine Months Ended September 30, 2022

Note 14. Segment Information, page 23

1.We note that you reconcile segment Adjusted EBITDA to operating loss. Please explain to us how this reconciliation is consistent with the guidance in ASC 280-10-50-30(b) that requires a reconciliation of the reportable segments' measures of profit or loss to consolidated income before income taxes and discontinued operations. In addition, tell us how you considered Question 103.02 of the Compliance & Disclosure Interpretations for Non-GAAP Financial Measures dated April 4, 2018 in your reconciliation to Adjusted EBITDA (non-GAAP) in MD&A on pages 31 and 32.

Response:

We acknowledge and appreciate the Staff’s comments. Regarding our segment footnote presentation and reconciliation pursuant to ASC 280-10-50-30(b), in future filings we will revise the tabular reconciliation included in the “Segment Information” footnote to our financial statements to reconcile the total of our reportable segments’ measure of profit and loss (segment Adjusted EBITDA) to consolidated Income (loss) from continuing operations before income taxes.

In response to the Staff’s comment regarding our reconciliation to Adjusted EBITDA (non-GAAP) in the MD&A on pages 31 and 32 of our Form 10-Q for the quarterly period ended September 30, 2022, in future filings we will revise our presentations by no longer including a table reconciling consolidated Operating loss (GAAP) to Adjusted EBITDA (non-GAAP), and related margin percentages, such as the table that appeared on page 31 of the Form 10-Q for the quarterly period ended September 30, 2022. In addition, in future filings we will revise the tables which currently reconcile operating income (loss) to Adjusted EBITDA by segment and at the consolidated level, such as the tables that appeared on page 32 of the Form 10-Q for the quarterly period ended September 30, 2022, to instead reconcile from Net income (loss) from continuing operations to Adjusted EBITDA at the consolidated level and for each of our reportable segments. In the context of these tables, we will also present corresponding GAAP and non-GAAP margins.

* * *

Should you have any further questions on the above, please do not hesitate to contact me at (302) 252-9160.

Sincerely,
/s/ Christopher M. Hix

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Document

2711 Centerville Road
Suite 400
Wilmington, Delaware  19808

United States

enovis.com

December 6, 2022

VIA EDGAR

U.S. Securities and Exchange Commission

Division of Corporation Finance

Office of Industrial Applications and Services

100 F Street, N.E.

Washington, D.C. 20549

Attention: Ms. Kristin Lochhead and Brian Cascio

    Re:    Enovis Corporation

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

        Filed February 22, 2022

        Form 10-Q for the Quarterly Period Ended September 30, 2022

        Filed November 2, 2022

        File No. 001-34045

Dear Ms. Lochhead and Mr. Cascio:

We are writing in response to the comment we received from the staff of the Securities and Exchange Commission (the “Staff”) by letter dated November 22, 2022 regarding the above-referenced filings of Enovis Corporation (the “Company” or “we”). For ease of reference, we have also reproduced below the text of the Staff's comment in italics directly above the Company’s response.

Form 10-Q for the Quarterly Period Ended September 30, 2022

Condensed Consolidated Financial Statements for the Nine Months Ended September 30, 2022

Note 14. Segment Information, page 23

1.We note that you reconcile segment Adjusted EBITDA to operating loss. Please explain to us how this reconciliation is consistent with the guidance in ASC 280-10-50-30(b) that requires a reconciliation of the reportable segments' measures of profit or loss to consolidated income before income taxes and discontinued operations. In addition, tell us how you considered Question 103.02 of the Compliance & Disclosure Interpretations for Non-GAAP Financial Measures dated April 4, 2018 in your reconciliation to Adjusted EBITDA (non-GAAP) in MD&A on pages 31 and 32.

Response:

We acknowledge and appreciate the Staff’s comments.  Regarding our segment footnote presentation and reconciliation pursuant to ASC 280-10-50-30(b), in future filings we will revise the tabular reconciliation included in the “Segment Information” footnote to our financial statements to reconcile the total of our reportable segments’ measure of profit and loss (segment Adjusted EBITDA) to consolidated Income (loss) from continuing operations before income taxes.

In response to the Staff’s comment regarding our reconciliation to Adjusted EBITDA (non-GAAP) in the MD&A on pages 31 and 32 of our Form 10-Q for the quarterly period ended September 30, 2022, in future filings we will revise our presentations by no longer including a table reconciling consolidated Operating loss (GAAP) to Adjusted EBITDA (non-GAAP), and related margin percentages, such as the table that appeared on page 31 of the Form 10-Q for the quarterly period ended September 30, 2022.  In addition, in future filings we will revise the tables which currently reconcile operating income (loss) to Adjusted EBITDA by segment and at the consolidated level, such as the tables that appeared on page 32 of the Form 10-Q for the quarterly period ended September 30, 2022, to instead reconcile from Net income (loss) from continuing operations to Adjusted EBITDA at the consolidated level and for each of our reportable segments. In the context of these tables, we will also present corresponding GAAP and non-GAAP margins.

*    *    *

Should you have any further questions on the above, please do not hesitate to contact me at (302) 252-9160.

Sincerely,

/s/ Christopher M. Hix

Christopher M. Hix

Executive Vice President and Chief Financial Officer

cc:    John Kleckner, Vice President, Chief Accounting Officer

    Bradley Tandy, Senior Vice President and General Counsel

    Brian Hanigan, Vice President, Chief Counsel – Securities, Governance, M&A and Corporate Secretary

    Ronald O. Mueller, Gibson, Dunn & Crutcher LLP