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Correspondence 0001544522-22-000039 from Freshworks Inc. (FRSH) (CIK 0001544522) (FRSH)

Freshworks Inc. (FRSH) (CIK 0001544522)
Date: Dec. 15, 2022 · CIK: 0001544522 · Accession: 0001544522-22-000039

AI Filing Summary & Sentiment

File numbers found in text: 001-40806

Date
December 15, 2022
Author
/s/ Tyler Sloat
Form
CORRESP
Company
Freshworks Inc. (FRSH) (CIK 0001544522)

Letter

Document

Freshworks Inc.

2950 S. Delaware St., Suite 201

San Mateo, CA 94403

December 15, 2022

VIA EDGAR

United States Securities and Exchange Commission

Division of Corporation Finance

Office of Technology

100 F Street, N.E.

Washington, D.C. 20549

Attn: Kathleen Collins, Accounting Branch Chief

Megan Akst, Senior Staff Accountant

Re: Freshworks Inc.

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

Filed February 23, 2022

File No. 001-40806

Ladies and Gentlemen:

We are in receipt of the comment letter, dated December 6, 2022, from the staff (the “Staff”) of the Securities and Exchange Commission (the “SEC”) regarding the above captioned filing on Form 10-K for the fiscal year ended December 31, 2021, filed on February 23, 2022 (the “Form 10-K”). Below is the response of Freshworks Inc. (the “Company,” “we,” “our” or similar terminology) to the Staff’s comments.

For the Staff’s convenience, we have incorporated the Staff’s comments into this response letter in italics.

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

Key Business Metrics, page 50

1.We note from your response to prior comment 1 that you consider the number of customers contributing more than $5,000 in ARR and net dollar retention rate to be the best indicators of trends in your business. Therefore, tell us your consideration to disclose these metrics for each period in which financial statements are provided (e.g. fiscal 2019).

Response: The Company supplementally advises the Staff that, as disclosed in our final prospectus filed on September 22, 2021 pursuant to Rule 424(b)(4), there were 8,588 customers contributing more than $5,000 in ARR as of December 31, 2019 and net dollar retention rate was 115% for the year ended December 31, 2019. In response to the Staff's comment, in future filings, we will include the key business metrics for each period in which financial statements are provided.

Freshworks Inc.

2950 S. Delaware St., Suite 201

San Mateo, CA 94403

Results of Operations, page 54

2.We note your response to prior comment 3 where you state that you will disclose the net dollar retention rate and number of paying customers in future filings to explain the increase in revenue from new versus existing customers. Please also disclose the percentage or dollar amount of change in revenue attributable to both new and existing customers to add further context to the impact of such metrics on your revenue growth.

Response: In response to the Staff’s comment, in future filings, the Company will also include the percentage or dollar amount of change in revenue attributable to both new and existing customers.

* * * * *

Please advise us if we can provide any further information or assistance to facilitate your review. Please direct any questions or further comments regarding this response letter to the undersigned at Tyler.Sloat@freshworks.com, with a copy to Pam Sergeeff, our Chief Legal Officer, at Pam.Sergeeff@freshworks.com.

Sincerely,
/s/ Tyler Sloat

Show Raw Text
CORRESP
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filename1.htm

Document

  Freshworks Inc.

2950 S. Delaware St., Suite 201

San Mateo, CA 94403

December 15, 2022

VIA EDGAR

United States Securities and Exchange Commission

Division of Corporation Finance

Office of Technology

100 F Street, N.E.

Washington, D.C. 20549

Attn:    Kathleen Collins, Accounting Branch Chief

    Megan Akst, Senior Staff Accountant

Re:    Freshworks Inc.

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

Filed February 23, 2022

File No. 001-40806

Ladies and Gentlemen:

We are in receipt of the comment letter, dated December 6, 2022, from the staff (the “Staff”) of the Securities and Exchange Commission (the “SEC”) regarding the above captioned filing on Form 10-K for the fiscal year ended December 31, 2021, filed on February 23, 2022 (the “Form 10-K”). Below is the response of Freshworks Inc. (the “Company,” “we,” “our” or similar terminology) to the Staff’s comments.

For the Staff’s convenience, we have incorporated the Staff’s comments into this response letter in italics.

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

Key Business Metrics, page 50

1.We note from your response to prior comment 1 that you consider the number of customers contributing more than $5,000 in ARR and net dollar retention rate to be the best indicators of trends in your business. Therefore, tell us your consideration to disclose these metrics for each period in which financial statements are provided (e.g. fiscal 2019).

Response:  The Company supplementally advises the Staff that, as disclosed in our final prospectus filed on September 22, 2021 pursuant to Rule 424(b)(4), there were 8,588 customers contributing more than $5,000 in ARR as of December 31, 2019 and net dollar retention rate was 115% for the year ended December 31, 2019.  In response to the Staff's comment, in future filings, we will include the key business metrics for each period in which financial statements are provided.

1

  Freshworks Inc.

2950 S. Delaware St., Suite 201

San Mateo, CA 94403

Results of Operations, page 54

2.We note your response to prior comment 3 where you state that you will disclose the net dollar retention rate and number of paying customers in future filings to explain the increase in revenue from new versus existing customers. Please also disclose the percentage or dollar amount of change in revenue attributable to both new and existing customers to add further context to the impact of such metrics on your revenue growth.

Response: In response to the Staff’s comment, in future filings, the Company will also include the percentage or dollar amount of change in revenue attributable to both new and existing customers.

* * * * *

Please advise us if we can provide any further information or assistance to facilitate your review. Please direct any questions or further comments regarding this response letter to the undersigned at Tyler.Sloat@freshworks.com, with a copy to Pam Sergeeff, our Chief Legal Officer, at Pam.Sergeeff@freshworks.com.

Sincerely,

 /s/ Tyler Sloat

Tyler Sloat

Chief Financial Officer

Freshworks Inc.

cc: Rathna Girish Mathrubootham, Freshworks Inc.

 Pamela Sergeeff, Freshworks Inc.

 Jon Avina, Cooley LLP

 Calise Cheng, Cooley LLP

 Sepideh Mousakhani, Cooley LLP

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