United States securities and exchange commission logo
May 1, 2024
Anna Cross
Group Finance Director
Barclays PLC
1 Churchill Place
London E14 5HP, England
Re: Barclays PLC
Form 20-F for for
the fiscal year ended December 31, 2023
Response dated
April 19, 2024
File No. 001-09246
Dear Anna Cross:
We have reviewed your April 19, 2024 response to our comment
letter and have the
following comments.
Please respond to this letter 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 a
comment applies to your facts and circumstances, please tell us why in
your response.
After reviewing your response to this letter, we may have
additional comments. Unless
we note otherwise, any references to prior comments are to comments in
our April 5, 2024 letter.
Form 20-F for the fiscal year ended December 31, 2023
Financial Review, page 300
1. We note your proposed
revised disclosure clarifies that only the overall net risk of
Barclays is hedged with
external derivatives and that the structural hedge is a part of the
overall risk management
activities which include non-structural hedging and offsetting
flows from other risk
management activities. Please tell us in detail and revise your
proposed disclosure
related to the impact of the structural hedge on net interest income to
clarify if these
amounts are based on the net risk managed with external derivatives or
whether the amounts
relate to the gross risk managed internally with the Treasury. If it
represents the gross
risk managed internally, please explain to us why you believe this is
the relevant metric
considering the guidance in paragraph 6.2.3 of IFRS 9 and considering
that the financial
impact of internal hedges is eliminated and therefore this disclosed
impact is not reported
in consolidated Group net interest income.
2. We note your proposed
revised disclosure that net structural hedge contributions of
Anna Cross
Barclays PLC
May 1, 2024
Page 2
(8,209)m (2022: (1,544)m) are included in Group net interest
income. Please tell us
whether these amounts represent the net losses transferred from Other
Comprehensive
Income and represent the net gains or losses recognized in the income
statement related to
the structural hedge. If the amounts do not represent that, please
clarify for us what they
represent and how they were calculated and tell us why you believe
this information is
more relevant for investors as compared to the amount recognized in
the income statement
related to the structural hedge.
3. Please tell us and revise your proposed revised disclosure to clarify
in which line item
(e.g., interest and similar income or interest and similar expense)
gross and net structural
hedge contributions are recognized.
4. We note you disclose gross structural hedge contributions which
represent the absolute
interest income earned from the fixed receipts on the swaps in the
structural hedge. Please
explain to us how management uses this metric and why management
believes this metric
provides useful information for investors.
5. We note the statement in your response that these derivatives are
accounted for under
IFRS 9 mandatorily at fair value through profit and loss. We also
note the statement in
your response that the net externalised position is captured within
the cash flow hedge.
Please clarify for us, which derivatives you are referring to as being
accounted for as
mandatorily at fair value through profit and loss and reconcile that
statement with other
statements in the response and proposed revised disclosure that
appears to state that the
structural hedge is accounted for as a cash flow hedge in other
comprehensive income.
Please contact Benjamin Phippen at 202-551-3697 or Michael Volley at
202-551-3437 if
you have questions.
FirstName LastNameAnna Cross Sincerely,
Comapany NameBarclays PLC
Division of
Corporation Finance
May 1, 2024 Page 2 Office of
Finance
FirstName LastName