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SEC Comment Letter 0000000000-23-011268 to Exela Technologies, Inc. (XELA, XELAP) (CIK 0001620179)

Exela Technologies, Inc. (XELA, XELAP) (CIK 0001620179)
Date: Oct. 16, 2023 · CIK: 0001620179 · Accession: 0000000000-23-011268

AI Filing Summary & Sentiment

File numbers found in text: 001-36788

Date
October 16, 2023
Author
Not clearly detected
Form
UPLOAD
Company
Exela Technologies, Inc. (XELA, XELAP) (CIK 0001620179)

Letter

United States securities and exchange commission logo October 16, 2023 Par Chadha Executive Chairman Exela Technologies, Inc. 2701 E. Grauwyler Rd. Irving, TX 75061 Re:Exela Technologies, Inc. Form 10-K for the Fiscal Year Ended December 31, 2022 Filed April 3, 2023 Form 8-K Filed August 14, 2023 Response dated October 4, 2023 File No. 001-36788 Dear Par Chadha: We have reviewed your October 4, 2023 response to our comment letter 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. Unless we note otherwise, any references to prior comments are to comments in our September 6, 2023 letter. Form 10-K for the Fiscal Year Ended December 31, 2022 Item 7. Management's Discussion and Analysis of Financial Condition and Results of Operations Note Regarding Non-GAAP Financial Measures, page 51 1.We note your response to comment 1. Please quantify for us the amount for each of the categories included in this adjustment for the years provided. Please distinguish for us the amounts that represent optimization costs from amounts for restructuring costs. Please further explain why contract costs, productivity improvement initiatives in process transformation and customer transformation costs are not critical to your operations, revenue generating activities and business strategy and thus represent normal, recurring, cash operating expenses necessary to operate your business. Also, please explain to us the difference in post-merger or acquisition integration costs included in this line item from

FirstName LastNamePar Chadha Comapany NameExela Technologies, Inc. October 16, 2023 Page 2 FirstName LastName Par Chadha Exela Technologies, Inc. October 16, 2023 Page 2 transaction and integration costs included in the line item related to endnote (2). Refer to Question 100.01 of the Non-GAAP Financial Measures Compliance and Disclosure Interpretations. 2.We note your response to comment 2. Please reconcile for us the amount of network outage costs included in your adjustment to the amount disclosed on page 82 for network outage. Please tell us your consideration of reducing the costs included in your adjustment by the insurance recoveries for those costs. Refer to Question 100.03 of the Non-GAAP Financial Measures Compliance and Disclosure Interpretations. In addition, for amounts related to relocation and all other costs, please tell us how you determined that these costs are not normal, recurring, cash operating expenses. Refer to Question 100.01 of the Non-GAAP Financial Measures Compliance and Disclosure Interpretations Form 8-K Filed August 14, 2023 Exhibit 99.1, page 99 3.We note your response to comment 4. The most directly comparable corresponding GAAP measure to Contribution Margin is GAAP Gross Profit. Please revise future filings accordingly. Please contact Tony Watson at 202-551-3318 or Adam Phippen at 202-551-3336 if you have questions regarding comments on the financial statements and related matters. Sincerely, Division of Corporation Finance Office of Trade & Services

Show Raw Text
United States securities and exchange commission logo
October 16, 2023
Par Chadha
Executive Chairman
Exela Technologies, Inc.
2701 E. Grauwyler Rd.
Irving, TX 75061
Re:Exela Technologies, Inc.
Form 10-K for the Fiscal Year Ended December 31, 2022
Filed April 3, 2023
Form 8-K Filed August 14, 2023
Response dated October 4, 2023
File No. 001-36788
Dear Par Chadha:
            We have reviewed your October 4, 2023 response to our comment letter 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. Unless
we note otherwise, any references to prior comments are to comments in our September 6, 2023
letter.
Form 10-K for the Fiscal Year Ended December 31, 2022
Item 7. Management's Discussion and Analysis of Financial Condition and Results of Operations
Note Regarding Non-GAAP Financial Measures, page 51
1.We note your response to comment 1.  Please quantify for us the amount for each of the
categories included in this adjustment for the years provided.  Please distinguish for us the
amounts that represent optimization costs from amounts for restructuring costs.  Please
further explain why contract costs, productivity improvement initiatives in process
transformation and customer transformation costs are not critical to your operations,
revenue generating activities and business strategy and thus represent normal, recurring,
cash operating expenses necessary to operate your business.  Also, please explain to us the
difference in post-merger or acquisition integration costs included in this line item from

 FirstName LastNamePar Chadha
 Comapany NameExela Technologies, Inc.
 October 16, 2023 Page 2
 FirstName LastName
Par Chadha
Exela Technologies, Inc.
October 16, 2023
Page 2
transaction and integration costs included in the line item related to endnote (2).  Refer to
Question 100.01 of the Non-GAAP Financial Measures Compliance and Disclosure
Interpretations.
2.We note your response to comment 2.  Please reconcile for us the amount of network
outage costs included in your adjustment to the amount disclosed on page 82 for network
outage.  Please tell us your consideration of reducing the costs included in your
adjustment by the insurance recoveries for those costs.  Refer to Question 100.03 of the
Non-GAAP Financial Measures Compliance and Disclosure Interpretations. In addition,
for amounts related to relocation and all other costs, please tell us how you determined
that these costs are not normal, recurring, cash operating expenses. Refer to Question
100.01 of the Non-GAAP Financial Measures Compliance and Disclosure Interpretations
Form 8-K Filed August 14, 2023
Exhibit 99.1, page 99
3.We note your response to comment 4.  The most directly comparable corresponding
GAAP measure to Contribution Margin is GAAP Gross Profit.  Please revise future filings
accordingly.
            Please contact Tony Watson at 202-551-3318 or Adam Phippen at 202-551-3336 if you
have questions regarding comments on the financial statements and related matters.
Sincerely,
Division of Corporation Finance
Office of Trade & Services