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                              May 11, 2024

       Melanie Cibik
       EVP, General Counsel, Chief Compliance Officer and Secretary
       TELEDYNE TECHNOLOGIES INCORPORATED
       1049 Camino Dos Rios
       Thousand Oaks, CA 91360-2362

                                                        Re: TELEDYNE 
TECHNOLOGIES INCORPORATED
                                                            Form 10-K for the 
Fiscal Year Ended December 31, 2023
                                                            Filed February 23, 
2024
                                                            File No. 001-15295

       Dear Melanie Cibik:

              We have limited our review of your filing to the financial 
statements and related
       disclosures 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.

       Form 10-K for the Fiscal Year Ended December 31, 2023

       Item 7. Management's Discussion and Analysis of Financial Condition and 
Results of Operations
       Consolidated Results of Operations, page 23

   1.                                                   Where you describe two 
or more business reasons that contributed to a material change in
                                                        a financial statement 
line item between periods, please quantify, where possible, the extent
                                                        to which each factor 
contributed to the overall change in that line item, including any
                                                        offsetting factors. 
When you discuss revenue fluctuations, specifically describe the extent
                                                        to which changes are 
attributable to changes in prices or to changes in the volume or
                                                        amount of goods or 
services being sold or to the introduction of new products or
                                                        services. In addition, 
where you identify intermediate causes of changes in your operating
                                                        results, also describe 
the reasons underlying the intermediate causes. As an example, you
                                                        quantify on page 24 the 
combined incremental Digital Imaging revenues related to
                                                        acquisitions and 
organic sales growth but do not separately quantify each component or
                                                        the offsetting impact 
of the lower product sales you identify and do not expand on the
                                                        reasons driving the 
growth or decline of your product categories. We further note that you
 Melanie Cibik
FirstName  LastNameMelanie Cibik
TELEDYNE     TECHNOLOGIES     INCORPORATED
Comapany
May        NameTELEDYNE TECHNOLOGIES INCORPORATED
     11, 2024
May 11,
Page 2 2024 Page 2
FirstName LastName
         attribute the increase in consolidated and segment cost of sales on 
pages 23-26 to "higher
         net sales" and "product mix" but do not consistently provide 
additional context regarding
         the product categories impacting your margins. Ensure you explain in 
sufficient detail the
         reasons driving these changes and that your overall revised 
disclosures assist in satisfying
         the requirements of Item 303(a)-(b) of Regulation S-K and the three 
principal objectives
         of MD&A, as noted in SEC Release No. 33-8350:

                to provide a narrative explanation of a company   s financial 
statements that enables
              investors to see the company through the eyes of management;

                to enhance the overall financial disclosure and provide the 
context within which
              financial information should be analyzed; and

                to provide information about the quality of, and potential 
variability of, a company   s
              earnings and cash flow, so that investors can ascertain the 
likelihood that past
              performance is indicative of future performance
Income Taxes, page 24

2.       We note your disclosure of "Provision (benefit) for income taxes 
without discrete event
         expense (benefit)" and "Effective tax rate without discrete events," 
which appear to
         represent non-GAAP measures. Please revise future filings to label 
these measures as non-
         GAAP measures and to provide all disclosures required by Item 10(e) of 
Regulation S-K.
         Ensure that you separately disclose each discrete event adjustment and 
also apply this
         comment to your earnings releases.
Critical Accounting Policies and Estimates
Business Combinations, Goodwill and Acquired Intangible Assets, page 31

3.       For any reporting units at risk for goodwill impairment, such as your 
FLIR reporting unit,
         please disclose in future filings the amount of goodwill allocated to 
the reporting unit and
         expand upon the methods and key assumptions used in your goodwill 
impairment test and
         how the key assumptions were determined. Although you disclose that 
you "primarily"
         use a discounted cash flow model, we note that your audit report 
references the additional
         use of the market approach for your FLIR reporting unit.
Notes to Consolidated Financial Statements
Note 2. Summary of Significant Accounting Policies
Stock-based Compensation Costs, page 49

4.       We note that beginning in fiscal 2024 you changed the valuation model 
used to determine
         the fair value of stock options from a lattice-based option pricing 
model to the Black-
         Scholes option pricing model. Please tell us and disclose pursuant to 
SAB Topic 14:C.3
         the basis for the change. Consistent with ASC 718-10-55-20 and 55-27, 
tell us how you
         concluded, if true, that the Black-Scholes model results in a better 
estimate of fair value.
 Melanie Cibik
TELEDYNE TECHNOLOGIES INCORPORATED
May 11, 2024
Page 3
Note 9. Income Taxes, page 59

5.       We note that you continue to make an indefinite reinvestment assertion 
for unrepatriated
         earnings of your material subsidiaries in Canada. Please disclose in 
future filings
         the amount of unremitted foreign earnings pursuant to ASC 
740-30-50-2b.
       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.

       Please contact Stephany Yang at 202-551-3167 or Andrew Blume at 
202-551-3254 with
any questions.



FirstName LastNameMelanie Cibik          Sincerely,
Comapany NameTELEDYNE TECHNOLOGIES INCORPORATED
                                         Division of Corporation Finance
May 11, 2024 Page 3                      Office of Manufacturing
FirstName LastName