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CORRESP Filing
ACI Worldwide (ACIW) CORRESPCorrespondence with SEC
Filed: 19 Jun 17, 12:00am
June 19, 2017
Securities and Exchange Commission
100 F Street N.E.
Washington, D.C. 20549
Attention: Stephen Krikorian, Accounting Branch Chief
Re: | ACI Worldwide, Inc. |
Form10-Q for the Quarter Ended March 31, 2017
Filed May 4, 2017
Form8-K furnished on March 2, 2017
Form8-K furnished on May 4, 2017
FileNo. 00-25346
Ladies and Gentlemen:
The following sets forth the response of ACI Worldwide, Inc. (the “Company”) to the comments of the staff of the Division of Corporation Finance (the “Staff”) of the Securities and Exchange Commission (the “Commission”) included in your letter dated June 7, 2017, with respect to the above-referenced Quarterly Report on Form10-Q and Current Reports on Form8-K. For your convenience, we have included your comments in the body of this letter and have provided the Company’s responses thereto immediately following the comment.
Form10-Q for the quarterly period ended March 31, 2017
Management’s Discussion and Analysis of Financial Condition and Results of Operations
Liquidity and Capital Resources
Operating Fee Cash Flow, page 35
1. Your operating free cash flow appears to exclude charges that required cash settlement. Please ensure that yournon-GAAP liquidity measures do not exclude charges that required or will require cash settlement. We refer you to Item 10(e)(1)(ii) of RegulationS-K.
Response: The Company appreciates the Staff’s comment and in future filings will remove the operating free cash flow measure and discussion from the Liquidity and Capital Resources section.
Securities and Exchange Commission
June 19, 2017
Page 2
Form8-K Furnished on March 2, 2017
Exhibit 99.1
Q4 2016 Financial Summary and Full Year 2016 Financial Summary
2. Yournon-GAAP measures of adjusted EBITDA and net adjusted EBITDA margin precede the GAAP measure. Please ensure that yournon-GAAP measures do not precede the most directly comparable GAAP measures in your next earnings release. See Question 102.10 of the updatedNon-GAAP Compliance and Disclosure Interpretations issued on May 17, 2016.
Response: We respectfully inform the Staff, that we will ensure that in future earnings releases the GAAP measures will precede anynon-GAAP measures discussed.
3. You disclose anon-GAAP measure of operating free cash flow but you omit the most directly comparable GAAP measure. Please ensure that you include the most directly comparable GAAP measure in your discussions ofnon-GAAP measures in your next earnings release. See Question 102.10 of the updatedNon-GAAP Compliance and Disclosure Interpretations issued on May 17, 2016.
Response: We respectfully inform the Staff, that in future earnings releases we will ensure we include the most directly comparable GAAP measure (cash flows from operating activities) in our discussions of thenon-GAAP measure of operating free cash flow.
Reconciliation of Selected GAAP Measures toNon-GAAP Measures
4. Your presentation includes a fullnon-GAAP income statement when reconcilingnon-GAAP measures to the most directly comparable GAAP measures. Please ensure your next earnings release does not include a fullnon-GAAP income statement. See Question 102.10 of the updatedNon-GAAP Compliance and Disclosure Interpretations issued on May 17, 2016. The same comment applies to your earnings release included in your8-K furnished on May 4, 2017.
Securities and Exchange Commission
June 19, 2017
Page 3
Response: We respectfully inform the Staff, that in future earnings releases we will ensure that we do not include a fullnon-GAAP income statement. We will provide the appropriate individual GAAP tonon-GAAP reconciliations as demonstrated below:
Three Months Ended | ||||||||
2017 | 2016 | |||||||
Total Revenue | $ | — | $ | — | ||||
Less CFS revenue | — | — | ||||||
FX impact | — | — | ||||||
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TotalNon-GAAP Revenue | $ | — | $ | — | ||||
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Three Months Ended | ||||||||
2017 | 2016 | |||||||
Net income | $ | — | $ | — | ||||
Less significant transaction related expenses | — | — | ||||||
Less income tax impact | — | — | ||||||
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TotalNon-GAAP net income | $ | — | $ | — | ||||
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Three Months Ended | ||||||||
2017 | 2016 | |||||||
Net income (loss) | $ | — | $ | — | ||||
Plus: | — | — | ||||||
Income tax expense (benefit) | — | — | ||||||
Net interest expense, net | — | — | ||||||
Net other expense (income) | — | — | ||||||
Depreciation expense | — | — | ||||||
Amortization expense | — | — | ||||||
Non-cash compensation expense | — | — | ||||||
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Adjusted EBITDA | — | — | ||||||
Deferred revenue fair value adjustment | — | — | ||||||
Employee related actions | — | — | ||||||
Gain on sale of CFS assets | — | — | ||||||
Significant transaction related expenses | — | — | ||||||
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Adjusted EBITDA excluding significant transaction related expenses | $ | — | $ | — | ||||
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Form8-K furnished on May 4, 2017
Exhibit 99.1
Highlights and Q1 2017 Financial Summary
5. Your presentations includenon-GAAP measures but omit the most directly comparable GAAP measures. Please ensure that you include the most directly comparable GAAP measures in your discussions ofnon-GAAP measures in your next earnings release. See Question 102.10 of the updatedNon-GAAP Compliance and Disclosure Interpretations issued on May 17, 2016.
Securities and Exchange Commission
June 19, 2017
Page 4
Response: We respectfully inform the Staff, that in future earnings releases we will ensure we include the most directly comparable GAAP measure in our discussion of anynon-GAAP measures.
* * * *
We hope that the foregoing is responsive to your comments. If you have any questions with respect to this letter, please feel free to contact the undersigned at402-778-2177.
Thank you in advance for your cooperation in these matters.
Very truly yours, |
/s/ Scott W. Behrens |
Scott W. Behrens |
Senior Executive Vice President, Chief Financial Officer, and Chief Accounting Officer |
Enclosures
cc: | Philip G. Heasley,ACI Worldwide, Inc. |
Dennis P. Byrnes,ACI Worldwide, Inc.