United States securities and exchange commission logo
March 18, 2024
Dean A. Mason
Chief Legal Officer and Secretary
EchoStar Corporation
100 Inverness Terrace East
Englewood, CO 80112
Re: EchoStar
Corporation
SC TO-I filed March
4, 2024
File No. 005-83490
Dear Dean A. Mason:
We have reviewed your filing 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 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. Defined terms used herein have the same meaning as in your
filing.
Schedule TO-I filed March 4, 2024
Questions and Answers, page 6
1. Please revise to
address whether tendering may only be done during an open trading
window. In addition,
clarify whether tendering and then withdrawing would void the
tendering holder's Rule
10b5-1 trading plan.
6. Conditions of this Exchange Offer, page 27
2. On page 28, you include
a condition that will be triggered by "[a]ny general suspension of
trading in, or
limitation on prices for, securities on any national securities exchange or in
the over-the-counter
market." Please revise to explain what would be considered a
limitation on prices
for securities on any national securities exchange or in the over-the-
counter market, or
delete.
3. You include a condition
that will be triggered by "commencement or escalation of a war,
Dean A. Mason
EchoStar Corporation
March 18, 2024
Page 2
armed hostilities or other international or national crisis directly
or indirectly involving the
United States" (emphasis added). The broad wording of this offer
condition may raise
illusory offer concerns under Regulation 14E. Please revise to narrow
or qualify this
condition by explaining what would constitute an "indirect
involvement" of the United
States, or delete this language.
4. Refer to the following statement made on page 29: "We may waive the
conditions, in
whole or in part, at any time and from time to time prior to the
Expiration Time..." If an
offer condition is "triggered" while the offer is pending, in our
view, the offeror must
promptly inform security holders whether it will assert the condition
and terminate the
offer, or waive it and continue. Reserving the right to waive a
condition "at any time and
from time to time" may be inconsistent with your obligation in this
regard. Please confirm
in your response letter that you will promptly notify Eligible
Employees if a condition is
triggered while the Exchange Offer is pending.
Miscellaneous, page 38
5. Please revise the language indicating you may decline to accept
tenders of Eligible
Options from certain jurisdictions. While you may avoid disseminating
tender offer
materials into certain foreign jurisdictions where making the offer is
prohibited under
local law, you must comply with the all-holders requirement in Rule
13e-4(f)(8)(i). See
Section II.G.1 in Exchange Act Release No. 34-58597 (September 19,
2008).
We remind you that the filing persons are responsible for the accuracy
and adequacy of
their disclosures, notwithstanding any review, comments, action or absence of
action by the staff.
Please direct any questions to Brian Soares at 202-551-3690 or Christina
Chalk at 202-
551-3263.
FirstName LastNameDean A. Mason Sincerely,
Comapany NameEchoStar Corporation
Division of
Corporation Finance
March 18, 2024 Page 2 Office of
Mergers & Acquisitions
FirstName LastName