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CORRESP Filing

Mistras Group, Inc.
Date: June 2, 2025 · CIK: 0001436126 · Accession: 0001436126-25-000051

Financial Reporting Regulatory Compliance Revenue Recognition

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File numbers found in text: 001-34481

Referenced dates: May 19, 2025

Date
June 2, 2025
Author
Edward J. Prajzner
Form
CORRESP
Company
Mistras Group, Inc.

Letter

Document June 2, 2025 Division of Corporation Finance U.S. Securities and Exchange Commission ATTN: Valeria Franks and Keira Nakada Washington, D.C. 20459 Re: Mistras Group, Inc. Form 10-K for Fiscal Year Ended December 31, 2024 Annual Report to Security Holders for Fiscal Year Ended December 31, 2024 File No. 001-34481 Ladies and Gentlemen: Mistras Group, Inc. (the “Company”) is in receipt of your letter dated May 19, 2025, regarding your review of the filings referenced above. Please accept this letter as acknowledgement of the Company’s agreement with the comment referenced in the aforementioned letter. The Company will promptly revise its Annual Report to Security Holders for Fiscal Year Ended December 31, 2024 to include the following disclosure on pages 4 and 5 where non-GAAP measures are referenced: “As reported and reconciled in the Company’s Form 8-K filed on March 5, 2025.” The Company believes the incorporation of this disclosure is in accordance with the comment set forth in your May 19, 2025 letter. Sincerely, /s/ Edward J. Prajzner Senior Executive Vice President and Chief Financial Officer

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CORRESP
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 Document June 2, 2025 Division of Corporation Finance U.S. Securities and Exchange Commission ATTN: Valeria Franks and Keira Nakada Washington, D.C. 20459 Re:    Mistras Group, Inc. Form 10-K for Fiscal Year Ended December 31, 2024 Annual Report to Security Holders for Fiscal Year Ended December 31, 2024 File No. 001-34481 Ladies and Gentlemen: Mistras Group, Inc. (the “Company”) is in receipt of your letter dated May 19, 2025, regarding your review of the filings referenced above. Please accept this letter as acknowledgement of the Company’s agreement with the comment referenced in the aforementioned letter. The Company will promptly revise its Annual Report to Security Holders for Fiscal Year Ended December 31, 2024 to include the following disclosure on pages 4 and 5 where non-GAAP measures are referenced: “As reported and reconciled in the Company’s Form 8-K filed on March 5, 2025.” The Company believes the incorporation of this disclosure is in accordance with the comment set forth in your May 19, 2025 letter. Sincerely, /s/ Edward J. Prajzner Senior Executive Vice President and Chief Financial     Officer