SecProbe.io

Filing text and metadata
Intelligence Terminal Search Topics Monthly Activity About

SEC Comment Letter 0000000000-24-007207 to HA Sustainable Infrastructure Capital, Inc. (HASI)

HA Sustainable Infrastructure Capital, Inc.
Date: June 26, 2024 · CIK: 0001561894 · Accession: 0000000000-24-007207

AI Filing Summary & Sentiment

File numbers found in text: 001-35877

Date
June 26, 2024
Author
Not clearly detected
Form
UPLOAD
Company
HA Sustainable Infrastructure Capital, Inc.

Letter

United States securities and exchange commission logo June 26, 2024 Marc T. Pangburn Chief Financial Officer and Executive Vice President Hannon Armstrong Sustainable Infrastructure Capital, Inc. One Park Place Suite 200 Annapolis, Maryland 21401 Re:Hannon Armstrong Sustainable Infrastructure Capital, Inc. Form 10-K for the fiscal year ended December 31, 2023 Filed February 16, 2024 File No. 001-35877 Dear Marc T. Pangburn: We have limited our review of your filing to the financial statements and related disclosures and have the following comments. Please respond to this letter within ten business days by providing the requested information or advise us as soon as possible when you will respond. If you do not believe a comment applies to your facts and circumstances, please tell us why in your response. After reviewing your response to this letter, we may have additional comments. Form 10-K filed February 16, 2024 Non-GAAP financial measures Adjusted cash from operations plus other portfolio collections, page 62 1.We note your reconciliation of net cash provided by operation activities to adjusted cash flow from operations and other portfolio collection includes a measure titled cash available for reinvestment. Please revise future filings to identify such measure as a non- GAAP financial measure and disclose information as to its usefulness and how management utilizes such measure. Reference is made to paragraph (e)(i)(C) and (D) of Item 10 of Regulation S-K. Notes to consolidated financial statements 6. Our portfolio Equity method investments, page 99

FirstName LastNameMarc T. Pangburn Comapany NameHannon Armstrong Sustainable Infrastructure Capital, Inc. June 26, 2024 Page 2 FirstName LastName Marc T. Pangburn Hannon Armstrong Sustainable Infrastructure Capital, Inc. June 26, 2024 Page 2 2.For each equity method investment, please tell us and disclose in future filings, the name of each investee and percentage of ownership. Reference is made to disclosure guidance in paragraph 323-10-50-3 of the Accounting Standards Codification. 8. Long-term debt Interest rate swaps, page 108 3.We note your interest rate swaps that are designated and qualify as cash flow hedges of interest rate risks associated with your floating-rate loans. Please tell us and/or revise future filings to ensure your disclosures comply with all requirements outlined within Section 815-30-50 of the Accounting Standards Codification. For example, we could not locate disclosures related to the estimated net amount of the existing gains or losses that is reported in accumulated other comprehensive income at the reporting date that is expected to be reclassified into earnings within the next 12 months. In closing, we remind you that the company and its management are responsible for the accuracy and adequacy of their disclosures, notwithstanding any review, comments, action or absence of action by the staff. Please contact Peter McPhun at 202-551-3581 or Wilson Lee at 202-551-3468 with any questions. Sincerely, Division of Corporation Finance Office of Real Estate & Construction

Show Raw Text
United States securities and exchange commission logo
June 26, 2024
Marc T. Pangburn
Chief Financial Officer and Executive Vice President
Hannon Armstrong Sustainable Infrastructure Capital, Inc.
One Park Place
Suite 200
Annapolis, Maryland 21401
Re:Hannon Armstrong Sustainable Infrastructure Capital, Inc.
Form 10-K for the fiscal year ended December 31, 2023
Filed February 16, 2024
File No. 001-35877
Dear Marc T. Pangburn:
            We have limited our review of your filing to the financial statements and related
disclosures and have the following comments.
            Please respond to this letter within ten business days by providing the requested
information or advise us as soon as possible when you will respond. If you do not believe a
comment applies to your facts and circumstances, please tell us why in your response.
            After reviewing your response to this letter, we may have additional comments.
Form 10-K filed February 16, 2024
Non-GAAP financial measures
Adjusted cash from operations plus other portfolio collections, page 62
1.We note your reconciliation of net cash provided by operation activities to adjusted cash
flow from operations and other portfolio collection includes a measure titled cash
available for reinvestment.   Please revise future filings to identify such measure as a non-
GAAP financial measure and disclose information as to its usefulness and how
management utilizes such measure.   Reference is made to paragraph (e)(i)(C) and (D) of
Item 10 of Regulation S-K.
Notes to consolidated financial statements
6. Our portfolio
Equity method investments, page 99

 FirstName LastNameMarc T.  Pangburn
 Comapany NameHannon Armstrong Sustainable Infrastructure Capital, Inc.
 June 26, 2024 Page 2
 FirstName LastName
Marc T.  Pangburn
Hannon Armstrong Sustainable Infrastructure Capital, Inc.
June 26, 2024
Page 2
2.For each equity method investment, please tell us and disclose in future filings, the name
of each investee and percentage of ownership.   Reference is made to disclosure guidance
in paragraph 323-10-50-3 of the Accounting Standards Codification.
8. Long-term debt
Interest rate swaps, page 108
3.We note your interest rate swaps that are designated and qualify as cash flow hedges of
interest rate risks associated with your floating-rate loans.   Please tell us and/or revise
future filings to ensure your disclosures comply with all requirements outlined within
Section 815-30-50 of the Accounting Standards Codification.   For example, we could not
locate disclosures related to the estimated net amount of the existing gains or losses that
is reported in accumulated other comprehensive income at the reporting date that is
expected to be reclassified into earnings within the next 12 months.
            In closing, we remind you that the company and its management are responsible for the
accuracy and adequacy of their disclosures, notwithstanding any review, comments, action or
absence of action by the staff.
            Please contact Peter McPhun at 202-551-3581 or Wilson Lee at 202-551-3468 with any
questions.
Sincerely,
Division of Corporation Finance
Office of Real Estate & Construction