United States securities and exchange commission logo
June 28, 2023
Terrance Coyne
Chief Financial Officer
Royalty Pharma plc
110 East 59th Street
New York, NY 10022
Re: Royalty Pharma plc
Form 10-K for the
period ended December 31, 2022
Filed February 15,
2023
File No. 001-39329
Dear Terrance Coyne:
We have limited our review of your filing to the financial
statements and related
disclosures and have the following comments. In some of our comments, we
may ask you to
provide us with information so we may better understand your disclosure.
Please respond to these comments 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 our
comments apply to your facts and circumstances, please tell us why in
your response.
After reviewing your
response to these comments, we may have additional comments.
Form 10-K for the period ended December 31, 2022
Non-GAAP Financial Results, page 68
1. In order to get a
better understanding of your non-GAAP measures and presentation,
please address the
following in your response and in proposed revised disclosure as
applicable:
As Total royalty
receipts does not appear to be the most directly comparable GAAP-
basis measure for
your non-GAAP measures, please tell us how your presentation
complies with Item
10(e)(1)(i)(B) of Regulation S-K.
On page 53, you
state that Adjusted EBITDA, which is derived from Adjusted Cash
Receipts, is used
by your lenders to assess your ability to meet your financial
covenants. You
also note on page 73 that Adjusted EBITDA is critical to the
assessment of the
company's liquidity. In this regard in future filings,
o relocate your
presentations of Adjusted EBITDA to your Liquidity and Capital
Resources
section, and
Terrance Coyne
Royalty Pharma plc
June 28, 2023
Page 2
orevise the presentation for the calculation of Adjusted
EBITDA to more strictly
reflect its definition as found in the credit agreement.
Refer to Question 102.09 of the Compliance & Disclosure
Interpretations regarding Non-
GAAP Financial Measures.
2. With regards to each of your reconciliations provided on page 74,
please address the
following:
Explain the apparent inconsistencies with regards to certain
reconciling items in your
non-GAAP measures. For example, we note that you present proceeds
from available
for sale debt securities as a reconciling item however you do not
include purchases of
available for sale debt securities in the reconciliation.
In addition, certain adjustments to these non-GAAP liquidity
measures appear to be
inconsistent with Item 10(e)(1)(ii)(A) of Regulation S-K. Please
advise.
With regards to your non-GAAP measure, Adjusted Cash Flow, please
more clearly
explain what this measure represents and how you determined its
presentation
complies with Item 10(e)(1)(i)(C) of Regulation S-K.
In closing, we remind you that the company and its management are
responsible for the
accuracy and adequacy of their disclosures, notwithstanding any review,
comments, action or
absence of action by the staff.
You may contact Sasha Parikh at 202-551-3627 or Kevin Vaughn at
202-551-3494 with
any questions.
FirstName LastNameTerrance Coyne Sincerely,
Comapany NameRoyalty Pharma plc
Division of
Corporation Finance
June 28, 2023 Page 2 Office of Life
Sciences
FirstName LastName