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                           May 13, 2024

       Joseph Brinkman
       Vice President and Chief Financial Officer
       Chart Industries, Inc.
       220 Airport Industrial Drive
       Suite 100
       Ball Ground, GA 30107

                                                        Re: Chart Industries, 
Inc.
                                                            Form 10-K for 
Fiscal Year December 31, 2023
                                                            Form 8-K Filed 
February 28, 2024
                                                            File No. 001-11442

       Dear Joseph Brinkman:

              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 8-K filed on February 28, 2024

       Exhibit 99.1
       Reconciliation of Earnings Per Common Share Attributable to Chart 
Industries, Inc. - Continuing
       Operations..., page 16

   1.                                                   Please address the 
following related to your reconciliation on page 16:
                                                            Your non-GAAP 
measure, adjusted earnings per common share attributable to Chart
                                                            Industries, Inc. is 
reconciled to Income/Loss from Continuing Operations which does
                                                            not appear to be 
the most directly comparable GAAP measure. Revise your
                                                            reconciliation to 
begin with Net Income/Loss Attributable to Chart Industries.
                                                            Alternatively, if 
the non GAAP measure is intended to relate to continuing
                                                            operations, please 
label it as such.
                                                            Tell us why you are 
adjusting for the mandatorily redeemable preferred stock
                                                            dividend and 
explain how you calculated this adjustment.
                                                            Finally, we note 
you have included several adjustments which do not have footnote
 Joseph Brinkman
FirstName  LastNameJoseph Brinkman
Chart Industries, Inc.
Comapany
May        NameChart Industries, Inc.
     13, 2024
May 13,
Page 2 2024 Page 2
FirstName LastName
              disclosure describing the adjustment and how the adjustment was 
quantified. Explain
              the adjustments to us and revise future filings to include this 
disclosure. For
              adjustments that include multiple elements, explain and quantify 
each element
              included in the adjustment. This comment also applies to 
adjustments on
              reconciliations included on pages 17-23.
Reconciliation of Net Cash Provided By (Used In) Operating Activities to Free 
Cash Flow and
Adjusted Free Cash Flow, page 17

2.       We note that you provide a reconciliation of free cash flow (non-GAAP) 
and adjusted free
         cash flow (non-GAAP). In future filings, please revise your free cash 
flow and adjusted
         free cash flow titles to specifically identify whether it relates to 
continuing operations or
         discontinued operations.
Reconciliation of Gross Profit to Adjusted Gross Profit..., page 18

3.       Please revise future filings to present the most directly comparable 
measures prior to the
         non-GAAP measures in accordance with Item 10(e)(1)(i)(A) to prevent 
undue
         prominence. In this regard, we note you have not included Gross Margin 
or Operating
         Margin in the tables included on pages 18-21. Additionally, on page 23 
you should
         disclose Net Income as a percent of sales alongside Adjusted EBITDA as 
a percent of
         sales.
4.       On pages 22 and 23, your presentation of Chart Industries, continuing 
operations pro
         forma appears to be a non-GAAP measure, as such, in future filings, 
please provide
         disclosures and presentation to comply with Article 11 of Regulation 
S-X and Question
         100.05 of the Compliance and Disclosure Interpretations on Non-GAAP 
Financial
         Measures.
Exhibit 99.2, page 32

5.       As it appears you have furnished the supplemental information included 
in Exhibit 99.2
         under Item 2.02 of Form 8-K, please note that Item 10(e)(1)(i) of 
Regulation S-K applies
         to all disclosures of non-GAAP measures. In this regard, please also 
address the
         following in future filings:
             We note that you have provided non-GAAP measures without 
disclosure of
              and reconciliation to the most directly comparable GAAP measure. 
Revise to comply
              with Item 10 of Regulation S-K and the Compliance and Disclosure 
Interpretations
              on Non-GAAP Measures.
             On page 32, your "Fourth Quarter 2023 Net Income & EBITDA Bridge" 
appears
              to present a full non-GAAP income statement . Revise to eliminate 
this presentation
              so as not to attach undue prominence to this non-GAAP 
information. Refer
              to Question 102.10(c) of the Non-GAAP Compliance and Disclosure 
Interpretations
              for guidance.
             On pages 32 and 35, your presentation of EBITDA includes loss on 
debt
 Joseph Brinkman
Chart Industries, Inc.
May 13, 2024
Page 3
              extinguishment. We remind you that to the extent your calculation 
of EBITDA
              includes any item in addition to what the acronym suggests (e.g., 
loss on debt
              extinguishment), you should revise the title of the measure or 
remove that item from
              your calculation of EBITDA. Refer to Question 103.01 of the 
Compliance
              & Disclosures Interpretations on Non-GAAP Financial Measures.


       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 Mindy Hooker at 202-551-3732 or Ernest Greene at 
202-551-3733 with
any questions.



FirstName LastNameJoseph Brinkman                             Sincerely,
Comapany NameChart Industries, Inc.
                                                              Division of 
Corporation Finance
May 13, 2024 Page 3                                           Office of 
Manufacturing
FirstName LastName