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CORRESP Filing

National Bank Holdings Corp
Date: April 17, 2025 · CIK: 0001475841 · Accession: 0001475841-25-000012

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Referenced dates: April 9, 2025

Date
April 17, 2025
Author
Nicole Van Denabeele
Form
CORRESP
Company
National Bank Holdings Corp

Letter

​ April 17, 2025 ​ ​ VIA EDGAR ​ U.S. Securities and Exchange Commission Division of Corporate Finance Office of Finance 100 F Street, N.E. Washington, D.C. 20549 ​ Attention: Mengyao Lu Cara Lubit ​ Re: National Bank Holdings Corporation Form 10K for Fiscal Year Ended December 31, 2024 File No. 001 – 35654 ​ ​ Dear U.S. Securities and Exchange Commission: ​ This letter response to the comments of the Staff (the “ Staff ”) of the Securities and Exchange Commission (the “ Commission ”) contained in the letter from the Staff dated April 9, 2025 (the “ Comment Letter ”) regarding the above-referenced filing on Form 10-K (the “ 10-K ”) of National Bank Holdings Corporation (the “ Company ”). ​ Form 10-K for Fiscal Year Ended December 31, 2024 ​ Tangible Common Book Value Ratios, page 47 We note your presentation, here and in Exhibit 99.1 of your earnings release 8-K dated January 22, 2025, of non-GAAP measures “tangible common book value, excluding accumulated other comprehensive loss, net of tax” and “tangible common book value per share, excluding accumulated other comprehensive loss, net of tax.” These measures exclude the impact of accumulated other comprehensive income / loss (“AOCI/L”) and represent individually tailored accounting measures, given that the adjustments to exclude AOCI have the effect of changing the recognition and measurement principles required to be applied in accordance with GAAP. Please remove the presentation of these non-GAAP measures from your future filings. Refer to Question 100.04 of the Division of Corporation Finance’s Compliance & Disclosure Interpretations on Non-GAAP Financial Measures and Rule 100(b) of Regulation G. ​ ​ ​ ​ 1 ​ ​ Response: The Company respectfully advises the Staff that it will remove the non-GAAP measures “tangible common book value, excluding accumulated other comprehensive loss, net of tax” and “tangible common book value per share, excluding accumulated other comprehensive loss, net of tax” in future filings beginning with Exhibit 99.1 of our first quarter 2025 earnings release 8-K. ​ In addition, we hereby acknowledge that we are responsible for the adequacy and accuracy of our disclosures, notwithstanding any review, comments, action or absence of action by the Staff. ​ If you have any questions regarding the response provided herein, please call me at (720) 554 -6640. ​ ​ ​ ​ ​ ​ ​ ​ ​ Sincerely, ​ ​ ​ ​ ​ ​ ​ ​ ​ ​ ​ /s/ Nicole Van Denabeele ​ ​ Nicole Van Denabeele ​ ​ Chief Financial Officer ​ 2 ​

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CORRESP
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 ​ April 17, 2025 ​ ​ VIA EDGAR ​ U.S. Securities and Exchange Commission Division of Corporate Finance Office of Finance 100 F Street, N.E. Washington, D.C. 20549 ​ Attention: Mengyao Lu Cara Lubit ​ Re: National Bank Holdings Corporation Form 10K for Fiscal Year Ended December 31, 2024 File No. 001 – 35654 ​ ​ Dear U.S. Securities and Exchange Commission: ​ This letter response to the comments of the Staff (the “ Staff ”) of the Securities and Exchange Commission (the “ Commission ”) contained in the letter from the Staff dated April 9, 2025 (the “ Comment Letter ”) regarding the above-referenced filing on Form 10-K (the “ 10-K ”) of National Bank Holdings Corporation (the “ Company ”). ​ Form 10-K for Fiscal Year Ended December 31, 2024 ​ Tangible Common Book Value Ratios, page 47 We note your presentation, here and in Exhibit 99.1 of your earnings release 8-K dated January 22, 2025, of non-GAAP measures “tangible common book value, excluding accumulated other comprehensive loss, net of tax” and “tangible common book value per share, excluding accumulated other comprehensive loss, net of tax.” These measures exclude the impact of accumulated other comprehensive income / loss (“AOCI/L”) and represent individually tailored accounting measures, given that the adjustments to exclude AOCI have the effect of changing the recognition and measurement principles required to be applied in accordance with GAAP. Please remove the presentation of these non-GAAP measures from your future filings. Refer to Question 100.04 of the Division of Corporation Finance’s Compliance & Disclosure Interpretations on Non-GAAP Financial Measures and Rule 100(b) of Regulation G. ​ ​ ​ ​ 1 ​ ​ Response: The Company respectfully advises the Staff that it will remove the non-GAAP measures “tangible common book value, excluding accumulated other comprehensive loss, net of tax” and “tangible common book value per share, excluding accumulated other comprehensive loss, net of tax” in future filings beginning with Exhibit 99.1 of our first quarter 2025 earnings release 8-K. ​ In addition, we hereby acknowledge that we are responsible for the adequacy and accuracy of our disclosures, notwithstanding any review, comments, action or absence of action by the Staff. ​ If you have any questions regarding the response provided herein, please call me at (720) 554 -6640. ​ ​ ​ ​ ​ ​ ​ ​ ​ Sincerely, ​ ​ ​ ​ ​ ​ ​ ​ ​ ​ ​ /s/ Nicole Van Denabeele ​ ​ Nicole Van Denabeele ​ ​ Chief Financial Officer ​ 2 ​