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Correspondence 0001178913-23-001702 from Nexxen International Ltd. (NEXN)

Nexxen International Ltd.
Date: May 4, 2023 · CIK: 0001849396 · Accession: 0001178913-23-001702

AI Filing Summary & Sentiment

File numbers found in text: 001-40504

Referenced dates: April 21, 2023

Date
May 4, 2023
Author
Not clearly detected
Form
CORRESP
Company
Nexxen International Ltd.

Letter

VIA EDGAR United States Securities and Exchange Commission Division of Corporate Finance, Office of Technology Form 20-F for the year ended December 31, 2022 Filed March 7, 2023 Form 6-K Submitted March 7, 2023 File No. 001-40504

Dear Ms. Brittany Ebbertt and Ms. Christine Dietz:

Tremor International Ltd. (the “Company”) provides the following information in response to the comments contained in the correspondence of the staff (the “Staff”) of the U.S. Securities and Exchange Commission (the “Commission”), dated April 21, 2023, relating to the aforementioned Form 20-F and Form 6-K. For reference purposes, the text of your letter dated April 21, 2023, has been reproduced herein (in bold), with the Company’s response below your comment.

Form 6-K Submitted March 7, 2023

General

1.

Your response to prior comment 8 indicates that CTV spend and PMP spend represent sales in the Connected TV and private marketplace markets; however, you also note that they are non-GAAP measures that are derived from Contribution ex-TAC. As Contribution ex-TAC is a profit measure that is derived from GAAP gross profit it is unclear how "spend", a sales measure, is derived from Contribution ex-TAC. Please advise. Also, as previously requested, please provide us with your proposed disclosures.

May 4, 2023

Page 2

Response:

The Company respectfully acknowledges the Staff’s comment. In response, the Company wishes to clarify that CTV spend and PMP spend is originally derived from reported revenue, the most directly comparable IFRS measure to “spend.” Accordingly, the Company proposes to add the following reconciliation table to its future filings, as relevant:

Revenues attributable to CTV (IFRS) - $_____

CTV media cost (“traffic acquisition costs” or “TAC”) (a) - ($______)

Spend attributable to CTV, or “CTV Spend” (non-IFRS) - $________

(a)

Represents the costs of purchases of impressions from publishers on a cost per thousand impression basis in our CTV activities.

The Company will add the same reconciliation table for PMP spend.

If you have any questions or comments, please do not hesitate to contact me directly at Sagi Niri at sniri@tremorinternational.com or arothstein@tremorinternational.com.

Very truly yours,
Tremor International Ltd.

Show Raw Text
CORRESP
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filename1.htm

      May 4, 2023

        VIA EDGAR

      Ms. Brittany Ebbertt

      Ms. Christine Dietz

        United States Securities and Exchange Commission

        Division of Corporate Finance, Office of Technology

        100 F Street, NE

        Washington, D.C. 20549

      Re: Tremor International Ltd.

             Form 20-F for the year ended December 31, 2022

             Filed March 7, 2023

             Form 6-K Submitted March 7, 2023

             File No. 001-40504

      Dear Ms. Brittany Ebbertt and Ms. Christine Dietz:

      Tremor International Ltd. (the “Company”) provides the following information in response to the comments contained in the correspondence of the staff (the “Staff”) of the U.S. Securities and
        Exchange Commission (the “Commission”), dated April 21, 2023, relating to the aforementioned Form 20-F and Form 6-K. For reference purposes, the text of your letter dated April 21, 2023, has been reproduced herein (in bold), with the Company’s
        response below your comment.

      Form 6-K Submitted March 7, 2023

      General

            1.

              Your response to prior comment 8 indicates that CTV spend and PMP spend represent sales in the Connected TV and private marketplace markets; however, you also note that they are non-GAAP measures that are
                derived from Contribution ex-TAC.  As Contribution ex-TAC is a profit measure that is derived from GAAP gross profit it is unclear how "spend", a sales measure, is derived from Contribution ex-TAC. Please advise. Also, as previously
                requested, please provide us with your proposed disclosures.

        May 4, 2023

        Page 2

      Response:

      The Company respectfully acknowledges the Staff’s comment.  In response, the Company wishes to clarify that CTV spend and PMP spend is originally derived from reported revenue, the most directly
        comparable IFRS measure to “spend.”  Accordingly, the Company proposes to add the following reconciliation table to its future filings, as relevant:

      Revenues attributable to CTV (IFRS) - $_____

             CTV media cost (“traffic acquisition costs” or “TAC”) (a) - ($______)

      Spend attributable to CTV, or “CTV Spend” (non-IFRS) - $________

            (a)

              Represents the costs of purchases of impressions from publishers on a cost per thousand impression basis in our CTV activities.

      The Company will add the same reconciliation table for PMP spend.

      If you have any questions or comments, please do not hesitate to contact me directly at Sagi Niri at sniri@tremorinternational.com or arothstein@tremorinternational.com.

      Very truly yours,

      Tremor International Ltd.

              /s/  Sagi Niri

      Sagi Niri

      Chief Financial Officer

      Copy to:

      Ofer Druker, Tremor International Ltd.

      Amy Rothstein, Tremor International Ltd.

      James J. Masetti, Pillsbury Winthrop Shaw Pittman LLP

      Christina F. Pearson, Pillsbury Winthrop Shaw Pittman LLP

      Sarit Nethanel, Somekh Chaikin, a Member Firm of KPMG International

        1