United States securities and exchange commission logo
April 29, 2024
Suman B. Mookerji
Chief Financial Officer
Ducommun Inc.
200 Sandpointe Avenue, Suite 700
Santa Ana, California 92707
Re: Ducommun Inc.
Form 10-K for the
Year Ended December 31, 2023
Form 8-K
Filed on February
15, 2024
File No. 001-08174
Dear Suman B. Mookerji:
We have limited our review of your filings 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 Year Ended December 31, 2023
Management's Discussion and Analysis of Financial Condition and Results
of Operations
Non-GAAP Financial Measures, page 25
1. In regard to the
prominence of certain non-GAAP financial measures you present, we note
the following:
You present and
discuss Adjusted EBITDA for multiple periods in a Non-GAAP
Financial Measure
section before you disclose and discuss GAAP results of
operations; and
You present
Adjusted EBITDA as a % of net revenues but do not present the most
directly
comparable GAAP measure, Net income as a % of net revenues, with equal
or greater
prominence.
Please revise future
filings to disclose and discuss GAAP results of operations before you
present and discuss
non-GAAP financial measures. In addition, for each non-GAAP
financial measure you
present, revise future filings to present the most directly
Suman B. Mookerji
Ducommun Inc.
April 29, 2024
Page 2
comparable GAAP measure with equal or greater prominence. Refer to
Item
10(e)(1)(i)(A) of Regulation S-K and Question 102.10 of the Division
of Corporation
Finance s Compliance & Disclosure Interpretations on Non-GAAP
Financial
Measures regarding prominence.
Critical Accounting Policies and Estimates
Revenue Recognition, page 35
2. We note the majority of your performance obligations are recognized over
time as work
progresses and you use an input measure, the cost-to-cost method, to
determine progress.
We also note estimates are updated on a regular basis and if a change in
estimate is
necessary, you recognize the impact of the change in the period the
adjustment is
identified. Item 303(b)(3) of Regulation S-K defines CAEs as estimates
made in
accordance with generally accepted accounting principles that involve a
significant level
of estimation uncertainty and have had or are reasonably likely to have
a material impact
on financial condition or results of operations and indicates CAE
disclosures
should supplement, but not duplicate, accounting policies in the notes
to the financial
statements. It also indicates in addition to explaining why a CAE is
subject to uncertainty,
disclosures should indicate how much the CAE or assumption (or both)
changed during
the relevant periods and should address the sensitivity of reported
amounts to the methods,
assumptions, and estimates underlying the CAE s calculation. In regard
to your current
disclosures, please address the following:
You disclose the "net cumulative catch up adjustments on profit
recorded were not
material for both years ended December 31, 2023 and 2022" in the
notes to your
financial statements. Tell us whether you recognized material
favorable and/or
material unfavorable changes in estimates during each period and
provide us the
gross amounts of favorable and unfavorable changes in estimates you
recognized as
part of your response. Explain to us how you assess the materiality
of changes in
estimates, including whether your assessment considers the impact
on net income. To
the extent material, revise future filings to quantify and more
fully address the impact
of changes in estimates on results of operations each period.
You disclose the amount of contract losses you recorded each period.
To the extent
material additional losses are reasonably possible, revise future
filings to more fully
explain how contract losses are estimated and discuss the status of
the related
contracts, including
FirstName LastNameSuman B. when they are expected to be completed. To
the extent material
Mookerji
additional losses are not reasonably possible, revise future
filings to disclose that.
Comapany NameDucommun Inc.
April 29, 2024 Page 2
FirstName LastName
Suman B. Mookerji
FirstName
DucommunLastNameSuman B. Mookerji
Inc.
Comapany
April NameDucommun Inc.
29, 2024
April 329, 2024 Page 3
Page
FirstName LastName
Consolidated Financial Statements
Note 15. Commitment and Contingencies , page 78
3. You disclose that during the years ended December 31, 2023 and
December 31, 2022, you
received insurance recoveries of $3.8 million and $6.4 million,
respectively. You
indicate that these insurance proceeds were for business interruption
and property and
equipment damage and were recognized as other income in fiscal 2023
and 2022. Please
address and revise future filings to clarify the following:
Tell us and disclose where you classify insurance proceeds in your
statements of cash
flows for the periods presented. Refer to ASC 230-10-45-21B;
Reconcile the amounts included as insurance recoveries in your
Non-GAAP
reconciliation of Adjusted EBITDA on page 27 with your disclosures
here;
Reconcile the amount included as recognition of insurance
recoveries of $3.9
million in your statement of cash flows for fiscal 2023 with your
disclosures here and
explain what this amount represents; and
Reconcile your disclosure that you recognized insurance proceeds
of $6.4 million in
other income in fiscal 2022 with page 48 that indicates only $5.4
million was
recorded in other income in fiscal 2022.
Form 8-K filed on February 15, 2024
Exhibit 99.1, page 1
4. In regard to the prominence of certain non-GAAP financial measures you
present, we note
the following:
You present Adjusted EBITDA in the headline which is more
prominent than your
presentation of the most directly comparable GAAP measure, Net
Income; and
You present Adjusted EBITDA as a % of revenue more prominently
than you present
the most directly comparable GAAP measure, Net income as a % of
revenue.
Please revise future filings to fully comply with Item 10(e)(1)(i)(A)
of Regulation S-K and
Question 102.10 of the Division of Corporation Finance s Compliance
& Disclosure
Interpretations on Non-GAAP Financial Measures regarding prominence.
5. We note you present Adjusted EBITDA but do not provide a direct
reconciliation of
Adjusted EBITDA to the most directly comparable GAAP measure, Net
Income. Please
revise future filings to provide a direct reconciliation from Net
Income to Adjusted
EBITDA as required by Item 10(e)(1)(i)(B) of Regulation S-K.
6. We note you present non-GAAP adjustments used to calculate the
non-GAAP financial
measures, Adjusted Net Income and Adjusted Diluted EPS, net of tax,
which is not
consistent with the requirements of Question 102.11 in the Division of
Corporation
Finance s Compliance & Disclosure Interpretations on Non-GAAP
Financial Measures.
Suman B. Mookerji
Ducommun Inc.
April 29, 2024
Page 4
Please revise future filings to present non-GAAP adjustments on a
gross basis and
separately present and disclose the impact of income taxes.
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 Ernest Greene at 202-551-3733 or Anne McConnell at
202-551-3709 with
any questions.
FirstName LastNameSuman B. Mookerji Sincerely,
Comapany NameDucommun Inc.
Division of
Corporation Finance
April 29, 2024 Page 4 Office of
Manufacturing
FirstName LastName