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BRBI BR Partners S.A.
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SEC wrote to company
2025-04-03
BRBI BR Partners S.A.
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| Date | Type | Company | Location | File No | Link |
|---|---|---|---|---|---|
| 2025-08-05 | Company Response | BRBI BR Partners S.A. | Brazil | N/A | Read Filing View |
| 2025-05-20 | SEC Comment Letter | BRBI BR Partners S.A. | Brazil | 377-07775 | Read Filing View |
| 2025-04-03 | SEC Comment Letter | BRBI BR Partners S.A. | Brazil | 377-07775 | Read Filing View |
| Date | Type | Company | Location | File No | Link |
|---|---|---|---|---|---|
| 2025-05-20 | SEC Comment Letter | BRBI BR Partners S.A. | Brazil | 377-07775 | Read Filing View |
| 2025-04-03 | SEC Comment Letter | BRBI BR Partners S.A. | Brazil | 377-07775 | Read Filing View |
| Date | Type | Company | Location | File No | Link |
|---|---|---|---|---|---|
| 2025-08-05 | Company Response | BRBI BR Partners S.A. | Brazil | N/A | Read Filing View |
2025-08-05 - CORRESP - BRBI BR Partners S.A.
CORRESP 1 filename1.htm August 5, 2025 BY EDGAR U.S. Securities and Exchange Commission Division of Corporation Finance Office of Finance 100 F Street, N.E. Washington, D.C. 20549 Attn: Ben Phippen Marc Thomas Madeleine Joy Mateo Christian Windsor Re: BRBI BR Partners S.A. Registration Statement on Form 20-F File No. 001-42757 Ladies and Gentlemen: Pursuant to Rule 12d1-2 promulgated under the Securities Exchange Act of 1934, as amended, BRBI BR Partners S.A. (the " Company "), respectfully requests acceleration of the effectiveness of its Registration Statement on Form 20-F (File No. 001-42757) (as amended to date, the " Registration Statement "), so as to become effective at 2:00 p.m. Eastern Time on Thursday, August 7, 2025, or as soon as possible thereafter. The Company has been informed by the Nasdaq Stock Market LLC (the " Nasdaq ") that the Nasdaq will certify to the Commission that the Company has been approved by the Nasdaq for listing. * * * The Company respectfully requests that it be notified of the effectiveness of the Registration Statement by a telephone call to John Guzman of White & Case LLP at +1 (212) 819-8200 and that such effectiveness also be confirmed in writing to jguzman@whitecase.com. Please do not hesitate to contact John Guzman at the same number with any questions or comments with respect to this letter. Very truly yours, /s/ Ricardo Fleury Cavalcanti de Albuquerque Lacerda Ricardo Fleury Cavalcanti de Albuquerque Lacerda Chief Executive Officer BRBI BR Partners S.A. cc: Ricardo Fleury Cavalcanti de Albuquerque Lacerda, Chief Executive Officer José Flávio Ferreira Ramos, Chief Financial Officer Vinicius Carmona Cardoso, Investor Relations Officer BRBI BR Partners S.A. John Guzman, Esq. White & Case LLP
2025-05-20 - UPLOAD - BRBI BR Partners S.A. File: 377-07775
<DOCUMENT> <TYPE>TEXT-EXTRACT <SEQUENCE>2 <FILENAME>filename2.txt <TEXT> May 20, 2025 Jos Fl vio Ferreira Ramos Chief Financial Officer BR Advisory Partners Holdings S.A. 3,732, Floor 28, CEP 04538-132 Avenida Brigadeiro Faria Lima S o Paulo, Brazil Re: BR Advisory Partners Holdings S.A. Draft Registration Statement on Form 20FR12B Submitted March 7, 2025 CIK No. 0002058601 Dear Jos Fl vio Ferreira Ramos: We have reviewed your amended draft registration statement and have the following comments. Please respond to this letter by providing the requested information and either submitting an amended draft registration statement or publicly filing your registration statement on EDGAR. If you do not believe a comment applies to your facts and circumstances or do not believe an amendment is appropriate, please tell us why in your response. After reviewing the information you provide in response to this letter and your amended draft registration statement or filed registration statement, we may have additional comments. Unless we note otherwise, any references to prior comments are to comments in our April 3, 2025 letter. Amendment No. 1 to Draft Registration Statement on Form 20FR12B A significant portion of our revenue may be derived from a limited number of client engagements, page 14 1. We note that your disclosure on page 14 attributing the decrease in the number of investment banking transactions during the year ended December 31, 2024 to certain macroeconomic and political factors appears contradictory to your disclosure on page 79 attributing the increase in client revenue generated by investment banking transactions to an improved macroeconomic environment in 2024. Please revise your disclosure, as necessary, to clarify whether the macroeconomic environment improved May 20, 2025 Page 2 or deteriorated during the year ended December 31, 2024 and to clearly explain the impact on both the number and volume of investment banking transactions as well as the amount of client revenue generated by investment banking transactions. 2. We note your response to comment 4. Please disclose whether you have experienced concentration in clients during the periods reported, or advise. Changes in interest rates may adversely affect us, page 21 3. We note your response to comment 5 and your disclosure that a significant portion of your revenues, expenses and liabilities are directly tied to interest rates. Please further describe how your revenues, expenses and liabilities are tied to interest rates. For example, we note your disclosure that your total revenues increased in the year ended December 31, 2024, compared to the year ended December 31, 2023, and the average SELIC rate during that period decreased. We also note your disclosure that your total revenue increased in the year ended December 31, 2023, compared to the year ended December 31, 2022, and the average SELIC rate increased. It is unclear from this example how the interest rate environment affects your revenues. Please revise your disclosure to describe how the current interest rate environment affects your business. ADS Holders may not be entitled to a jury trial, page 23 4. This risk factor discusses the impact of the waiver of jury trial contained in the ADS agreement. Please add a separate risk factor that discusses the fact that investors must bring a suit under the ADS agreement in state or federal courts in New York, which may make it more difficult for ADS holders to enforce their rights, including under the federal securities laws. Digital Platform, page 31 5. We note your response to comment 8. Please clarify in your disclosure whether your digital platform is currently operational and being used by your clients. If it is not operational, please disclose the status of development of your digital platform. 6. We note your response to comments 9 and 11. Please further describe the digital support you provide your clients. For example, describe how the platform will facilitate digital interactions. Number and Volume of Transactions, page 79 7. We note your response to comment 23 and your revised disclosure on page 79. Please further expand your disclosure to elaborate on the specific components of the macroeconomic environment that improved and to better describe why investment banking revenue increased despite a smaller number and volume of transactions. In addition, please revise your disclosure to include additional metrics (e.g., average size of investment banking transactions, fee rates, etc.) to help explain the increase in revenue. 8. Please expand your disclosure to better describe how the type of advisory service provided in your investment banking transactions impacts the relationship between transaction volume and revenue. May 20, 2025 Page 3 Investment Banking - Investment Banking and Capital Markets, page 80 9. Please expand your disclosure to better describe the specific components of the Brazilian macroeconomic environment that improved during 2023 compared to 2022. Administrative expenses, page 81 10. We note your response to comment 29 and your revised disclosure on page 83 that expenses with outsourced services (which relate to referral fees paid to third-party commercial service providers) are determined through negotiation. Please enhance your disclosure to describe the typical terms of these referral fee agreements with third-party commercial service providers and securities distributors. In addition, please expand your disclosure to better describe the underlying reasons for the increase in expenses with outsourced services, specifically addressing the extent to which the increase was associated with volume and/or fee rates and explaining any material fluctuations in these factors. Results of Operations for the Years Ended December 31, 2024 and 2023, page 82 11. Please revise your disclosure, where appropriate, to reconcile the tabular presentation of total revenues by business line as presented on page 79 to the tabular presentation of results of operations on page 82. In addition, please revise your discussion of the principal components of results of operations beginning on page 81 and/or your results of operations discussion beginning on page 82 to allow a reader to better understand how each business line impacts the principal components of the consolidated statements of profit or loss and to explain, in more detail, any material revenue fluctuations in each business line. Financial assets at fair value through profit or loss, page 87 12. We note your disclosure that the increase in financial assets at fair value through profit or loss was primarily due to the acquisition of CRIs, which are classified as private securities. We also note your disclosure on page F-32 that CRIs and total private securities classified as financial assets at fair value through profit or loss decreased in fiscal year 2024. Please revise your disclosure to explain the offsetting factors to the acquisition of CRIs that resulted in the decrease in CRIs and total private securities. 13. Please expand your discussion of financial assets at fair value through profit or loss to discuss the underlying reasons for the increase in government bonds, which appears to be the primary driver of the increase of financial assets at fair value though profit or loss during the year ended December 31, 2024. Investment fund quotas, page 88 14. We note your response to comment 19 and your revised disclosure that investment fund quotas consist of your proprietary participation in the private funds within your investment operations and FIDCs (i.e. creditor rights investment funds). Please revise your disclosure to describe the nature of the private funds, the extent of your participation in these funds, and the approximate amount or percentage of private funds versus FIDCs that are included within investment fund quotas. May 20, 2025 Page 4 Major Shareholders, page 100 15. We note your response to comment 35. Please disclose the natural person or persons who having and dispositive controls of the shares of Brapinvest IV Fundo de Investimento em Participa es Multiestrat gia and Brapinvest Fundo de Investimento em Participa es Multiestrat gia, or advise. Note 19c. Third party fund management (unaudited), page F-45 16. We note your response to comment 42. Please tell us why your lack of custody prevents you from providing a rollforward of your investment funds and shareholders equities under management. Alternatively, revise your discussion of operating and financial review and prospects beginning on page 77 to include the requested rollforward and to discuss any significant trends or concentrations in the funds. 17. Please revise your disclosure, where appropriate, to explain the key differences between investment funds and shareholders equities under management, which according to disclosure on page F-45, totaled R$2.4 billion and R$885.9 million at December 31, 2024 and 2023 and wealth under advisory, which according to disclosure on pages 30, 37, 43, 79 and 80 totaled R$4.7 billion and R$2.3 billion at these same period ends. Please contact Ben Phippen at 202-551-3697 or Marc Thomas at 202-551-3452 if you have questions regarding comments on the financial statements and related matters. Please contact Madeleine Joy Mateo at 202-551-3465 or Christian Windsor at 202-551-3419 with any other questions. Sincerely, Division of Corporation Finance Office of Finance cc: John Guzman, Esq. </TEXT> </DOCUMENT>
2025-04-03 - UPLOAD - BRBI BR Partners S.A. File: 377-07775
<DOCUMENT> <TYPE>TEXT-EXTRACT <SEQUENCE>2 <FILENAME>filename2.txt <TEXT> April 3, 2025 Jos Fl vio Ferreira Ramos Chief Financial Officer BR Advisory Partners Holdings S.A. 3,732, Floor 28, CEP 04538-132 Avenida Brigadeiro Faria Lima S o Paulo, Brazil Re: BR Advisory Partners Holdings S.A. Draft Registration Statement on Form 20FR12B Submitted March 7, 2025 CIK No. 0002058601 Dear Jos Fl vio Ferreira Ramos: We have reviewed your draft registration statement and have the following comments. Please respond to this letter by providing the requested information and either submitting an amended draft registration statement or publicly filing your registration statement on EDGAR. If you do not believe a comment applies to your facts and circumstances or do not believe an amendment is appropriate, please tell us why in your response. After reviewing the information you provide in response to this letter and your amended draft registration statement or filed registration statement, we may have additional comments. Draft Registration Statement on Form 20FR12B General 1. We note your disclosure that you are controlled by BR Partners Holdco Participa es S.A. Please clarify whether you will be considered a controlled company under NYSE rules and if so, whether you will utilize related exemptions to governance rules under exchange listing standards. Risk Factors, page 2 2. Many of the risk factors presented in this section discuss possible future results that might impact your business, without providing sufficient background for an investor to understand the current impact of the risk discussed and the likelihood that the noted April 3, 2025 Page 2 risk might impact your results. For instance, on page 2 you discuss the risks from "(t)he global economic slowdown arising from...the increase in global interest rates." In the accompanying bullet point, you note a number of possible implications including increased margin calls, reduced AuM and decreased investment banking revenues due to reduced securities transactions. For each of the examples, discuss the actual experience during the period of rising rates, as well as the extent to which the cited risk occurred or increased during the relevant period. Make similar changes to your risk factor discussion. We may not pay dividends to our shareholders, page 6 3. Revise this risk factor to clarify any current limitation that would prevent you from making the required 25% dividend payments to your shareholders, as required by Law No. 6,404. Investors must be able to assess the likelihood of this risk impacting their investment in your shares, particularly over the next year. We may be unable to maintain relationships with material clients, page 15 4. We note your disclosure that in any given year, certain of your clients may account for a significant portion of your revenues. Please revise your disclosure to discuss whether you have experienced concentration in clients during the periods reported. If so, please include a risk factor discussing client concentration and include related disclosure in Business Overview and Our Operations. Changes in interest rates may adversely affect us, page 22 5. Please revise this risk factor to more specifically describe the current interest rate environment and how such environment is affecting your business. If changes in interest rates have materially affected specific business lines during the periods reported, please discuss this in your risk factor. Holders of ADSs may be subject to limitations on transfer of their ADSs, page 23 6. Revise the heading of this risk factor to clarify that the transfer restrictions are related to periods where the depositary has closed its books. Alternatively, please revise the risk factor to discuss any and all other transfer restrictions. Also, revise the description of the ADS in the section beginning on page 128. History, page 31 7. Please provide a description here, or elsewhere as appropriate, of your conservative risk management strategy. Business Overview, page 32 8. Please revise your discussion of each business line to include the revenue contributed by each business line during the periods presented. 9. We note that the largest portion of your capital expenditure is for your digital platform. Revise your disclosure to discuss your investment in this platform, how it is used, and whether the platform is internal focused or client facing. April 3, 2025 Page 3 Treasury Sales & Structuring, page 36 10. Please revise your disclosure, here and/or elsewhere as appropriate, to define and provide an enhanced understanding of your primary fundraising products (e.g., CDBs, LCIs, LCAs and treasury bills, and LFs). Wealth Management, page 38 11. We note your disclosure that your wealth management operations benefit from an open multi-product platform, digital support and an international presence. Please further describe these three elements of your wealth management operations. For example, please describe if you provide the referenced digital support or if a third- party provides these services. 12. We note your disclosure on page 4 that discusses the risk that you may have difficulty valuing privately held businesses or their securities. In an appropriate portion of your business section, discuss the difficulty valuing the privately held businesses that you invest in for your clients or for your own portfolio. Discuss actions you take to minimize the possibility that your professionals are not able to appropriately value these securities, and discus your experience with under- or over-valuing these securities in recent periods. Investments, page 42 13. Please describe how your model of investing in business platforms enables you to develop a scalable investment thesis with lower initial capital commitments. 14. We note the table on page 63 setting forth the growth in the shareholders' equity of BR Partners Outlet Premium Fundo de Investimento em Participa es Multiestrat gia. Please disclose whether the performance of this fund during the period presented is representative of the performance of your other funds during the same period to allow investors to place this presentation in context. Capital Remuneration, page 44 15. Please revise your disclosure to clarify whether the returns generated in this line of business are through investments of your capital and/or third-party capital. Interest Rates (SELIC Rate), page 44 16. We note your disclosure that you believe you possess a diversified strategy in relation to your sources of revenue. Please describe this diversified strategy and how this strategy affects the relationship between interest rates and your capital remuneration business line. Volume and Number of M&A Transactions in the Brazilian Market, page 49 17. Please revise your disclosure as necessary to reconcile your statement on page 49 that the SELIC rate increased from 9.25% to 11.75% between 2022 and 2023 to your statement on page 22 that the SELIC rate was 13.75% and 11.75% at December 31, 2022 and 2023. April 3, 2025 Page 4 Item 5. Operating and Financial Review and Prospects, page 79 18. Please revise your disclosure where appropriate to discuss and analyze year-over-year changes in significant balance sheet items such as, but not limited to, financial assets at fair value through profit or loss, financial assets at fair value through other comprehensive income, financial assets at amortized cost, repurchase agreements, client deposits, and funds from securities issued. 19. Please revise your disclosure where appropriate to describe your investment fund quotas classified as financial assets at fair value through profit and loss and at fair value through other comprehensive income. Discuss the types of investments included in this category, the structure of these investments, the industry or sector associated with these investments, and any guarantees or other aspects relevant to understand the nature of these investments and the associated credit risk. Inflation and Interest Rates, page 80 20. Please revise your disclosure as necessary to reconcile your statement on page 80 that in 2024 lower interest rates and an expectation of a decrease in inflation led to an increase in M&A, which positively affected your investment banking operations, to your tabular presentation on page 81 showing that the number and volume of investment banking transactions decreased in 2024 compared to 2023. 21. We note your disclosure on page 80 that in 2023 the decrease in interest rates incentivized companies that incurred indebtedness at high rates to seek new financing solutions with lower rates, positively affecting your capital markets. Please revise your disclosure as necessary to reconcile your statement that interest rates decreased in 2023 with the tabular presentation page 80 showing that CDI increased in 2023. Further, please revise your disclosure to reconcile your statement that capital markets was positively affected with your tabular presentation on page 81 showing that the number and volume of capital markets transactions decreased in 2023 compared to 2022. 22. We note your disclosure on page 80 discussing the impact of the SELIC rate on the demand for your fixed income products, which directly affects your capital markets operations. In order to provide readers with all relevant data related to your narrative discussion, please consider revising your tabular presentation setting forth data relating to GDP, inflation, interest rates and exchange rates, to include the SELIC rate and to explain the key differences between the SELIC rate and CDI. Number and Volume of Transactions, page 81 23. We note your disclosure that the number and volume of investment banking transactions decreased primarily due to the natural cyclicality of transaction closings in investment banking. Please revise your disclosure to better explain the cyclical nature of investment banking activities, whether the cyclical nature is company and/or industry specific, how the changes in the number and volume of investment banking transactions relates to your assertion of natural cyclicality, and to cite factual evidence or industry reports that supports such cyclicality. 24. Please expand your disclosure to better describe the underlying factors driving the increase in the volume and/or the number of transactions for which you have provided April 3, 2025 Page 5 capital markets, treasury sales and structuring and wealth management services. Please also address whether any or all of these increases represent sustainable trends and if so, how it is anticipated to impact your financial statements and operating results. Capital Remuneration, page 82 25. Please revise your disclosure as necessary to reconcile your statement on page 82 that your capital remuneration business line was impacted by a lower SELIC rate during 2024 compared to 2023, to your statement on page 21 that the SELIC rate increased from 11.75 at December 31, 2023 to 12.25 at December 31, 2024. Principal Components of our Results of Operations, page 82 26. We note your disclosure on page F-41 that total interest expenses is partially comprised of funding expenses. Please revise your disclosure on pages 82 through 87, and elsewhere as appropriate, to describe the nature and components of these funding expenses, your accounting policy for these expenses, and a discussion of the underlying reasons for any significant fluctuations in funding expenses for each period presented. Results of Operations for the Years Ended December 31, 2024 and 2023, page 84 27. In order to provide a more in depth understanding of the key components and drivers of net interest revenue (expense) and gains (losses) on financial instruments, please revise the tabular presentation of your statements of profit or loss data on pages 84 and 86 to provide a breakdown of the individual components similar to that provided on page F-41. In addition, please revise your disclosure on pages 84-87 to explain the underlying reasons for any significant changes in each of these components for each period presented. Personnel expenses, page 85 28. We note the disclosure that the increase in personnel expenses was primarily due to an increase in the number of your employees, consistent with the increase in your total revenues. Please revise your disclosure, here and/or elsewhere as appropriate, to address the nature of the different personnel expenses and the changes in the individual costs between periods as well as providing a correlating discussion to the changes in the revenues during the periods presented. Administrative expenses, page 85 29. We note your disclosure that the increase in administrative expenses in the year ended December 31, 2024 was primarily due to an increase in referral fee services to third- party commercial service providers. Please revise your disclosure, here and/or elsewhere as appropriate, to include quantification of the total referral fees paid for each period presented, a discussion of how these referral fees are determined and accounted for, and a discussion of which product offerings are associated with these referral fees. Additionally, you should address the nature of the different administrative expenses and the changes in these individual costs between periods presented. April 3, 2025 Page 6 Reversal/(provision) due to expected credit losses, page 87 30. Please expand your disclosure to elaborate on the nature of the clients that experienced an upgrade in credit risk rating, whether this relates to a certain concentration of clients, and to explain in more detail the underlying factors that triggered the upgrade in credit risk rating. Other revenues, page 87 31. Please revise your disclosure as necessary to reconcile your statement on page 87 that the increase in other revenues during 2023 was primarily due to increased SELIC rates during the period to your statement on page 21 that the SELIC rate decreased from 13.75 at December 31, 2022 to 11.75 at December 31, 2023. Liquidity, page 88 32. Please revise to discuss the risks from relying on repurchase agreements as a funding source for your liquidity given their short term nature as well as the potential volatility in terms of volume since these agreements are directly impacted by market liquidity. In addition, please address the extent to which the value and perception of the Brazilian government securities can impact the availability of repurchases funding and include an enhanced discussion of the alternative sources of financing available, including how you evaluate these potential funding sources. Cash Flows for the Years Ended December 31, 2024 and 2023, page 89 33. Please revise your disclosure here, or in your statement of cash flows, to separately quantify the sales of financial instruments measured at fair value through profit or loss and the sales of financial instruments measured at fair value through other comprehensive income. Further, please revise your disclosure to explain the underlying reasons for these sales and to better describe why these sales and the settlements of derivative liability positions resulted in a decrease in cash flows from operations. Compensation, page 95 34. We note your disclosure that the compensation of your statutory and non-statutory officers consists, in part, of stock-based compensation. If any portion of the compensation was paid in the form of stock options, provide the title and amount of securities covered by the options, the exercise price, the purchase price (if any), and the expiration date of the options, and file any related agreements as an exhibit, or advise. Major Shareholders, page 99 35. Please provide the natural person or persons who have voting and dispositive c