January 28, 2022
Shannon Menjivar, Accounting Branch Chief
Mark Rakip, Staff Accountant
Division of Corporation Finance
Office of Real Estate & Construction
Securities and Exchange Commission
100 F. Street NE
Washington, DC 20549
| Re: | Resource REIT, Inc. (the “Company”) |
Form 10-K for the fiscal year ended December 31, 2020
File No. 000-55430
Dear Ms. Menjivar and Mr. Rakip:
We are writing in response to the comment letter dated January 19, 2022 regarding Resource REIT, Inc. (the “Company”), and the Company’s Form 10-K for the fiscal year ended December 31, 2020 (the “Form 10-K”). For your convenience, we have reproduced the comment below and included the Company’s response to the comment.
Form 10-K for the fiscal year ended December 31, 2020
Item 5 – Market For Registrant’s Common Equity, Related Stockholder Matters and Issuer Purchases of Equity Securities
Estimated Value Per Share, page 32
1. | We note your response to comment one and reissue the comment in part. Please provide to us your basis for including goodwill in your calculation of NAV. Include within your response how your calculation is consistent with your policy disclosure that indicates your valuation was performed in accordance with the provisions of Practice Guideline 2013-01 issued by the Institute for Portfolio Alternatives, which notes that when determining gross asset value for purposes of NAV valuation methodology, intangible assets are to be excluded, including all assets/liabilities required by ASC 805. |
Response: For the reasons discussed in the Company’s prior correspondence with the Staff dated January 10, 2022, the Company determined that the Self-Management Transaction, which resulted in the acquisition of the Company’s Sponsor and thereby eliminated the management fee arrangement with the Sponsor, resulted in cost savings to the Company to be accounted for under Accounting Standards Codification (“ASC”) 805, Business Combinations as Goodwill. In determining to include Goodwill in the calculation of its net asset value (“NAV”) management considered the valuation analysis performed by Robert A. Stanger & Co., Inc. in connection with the acquisition of the Sponsor, the significance of the transaction to the business of the Company, and the disclosure of other industry participants who had recently engaged in similar self-management transactions. Based on these considerations management determined that the inclusion of Goodwill with respect to the management contracts in the determination of NAV would be appropriate and consistent with industry practice.