United States securities and exchange commission logo
February 6, 2023
Gary A. Vecchiarelli
Chief Financial Officer
CleanSpark, Inc.
2370 Corporate Circle
Suite 160
Henderson, NV 89074
Re: CleanSpark, Inc.
Form 10-K for the
Fiscal Year Ended September 30, 2022
File No. 001-39187
Dear Gary A. Vecchiarelli:
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 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 our
comments apply to your facts and circumstances, please tell us why in
your response.
After reviewing your response and any amendment you may file in
response to these
comments, we may have additional comments.
Form 10-K for the Fiscal Year Ended September 30, 2022
General
1. In future filings,
please provide disclosure regarding any significant crypto asset market
developments material
to understanding or assessing your business, financial
condition and results
of operations or share price. Consider each comment issued in our
January 20, 2023 letter
relating to your Post-Effective Amendment No. 2 to your
Registration Statement
on Form S-3 filed on December 15, 2022, and make the relevant
disclosures in future
filings. For additional guidance, please see the Division of
Corporation Finance s
Sample Letter to Companies Regarding Recent Developments in
Crypto Asset Markets
issued by the Staff in December 2022.
2. In future filings,
please include a comprehensive breakeven analysis for your bitcoin
mining operations or
any other crypto assets that you earn or mine that compares the cost
to earn or mine one
crypto asset with the value of the crypto asset.
Gary A. Vecchiarelli
FirstName
CleanSpark,LastNameGary A. Vecchiarelli
Inc.
Comapany6,NameCleanSpark,
February 2023 Inc.
February
Page 2 6, 2023 Page 2
FirstName LastName
Lines of Business, page 5
3. In future filings, please disclose the percentage of your energy usage
that uses clean and
renewable energy resources as well as the locations in which you use
these resources. In
addition, please identify the types of clean and renewable
energy sources you use and
explain how you plan to increase your usage.
4. In future filings, please disclose whether your data centers and
campuses support only
your miners or whether you host miners for other companies.
5. In future filings, to the extent that you plan to expand your mining
business to mine crypto
assets other than bitcoin, please identify the crypto assets you plan
to mine, if known, and
please disclose the procedures and policies related to selecting the
crypto assets. In
addition, disclose the stage of any material strategic acquisitions
and an estimated time
line, as well as the estimated costs, and the sources of capital for
any such planned
acquisitions.
6. In future filings, please disclose here whether you intend to hold or
monetize the
mined bitcoin, and please disclose your policies related to the uses
for the mined bitcoin.
Disclose here how you monetize your bitcoin, including any exchanges
you use, whether
you have any agreements with any exchanges, and whether you store any
of your crypto
asset holdings on any exchanges platforms. In this regard, we note
your disclosure on
page 21 that you exchange your bitcoins directly for U.S. dollars on
Coinbase. In
addition, please disclose whether you hold any other types of crypto
assets. If so, please
identify the types and amount of such crypto assets, and discuss the
purpose of holding the
other types of crypto assets.
Working Capital Items, page 6
7. In future filings, please disclose the range, mean and average age of
your miners, the
average downtime attributed to scheduled maintenance and non-scheduled
maintenance as
well as the average, mean and range of the energy efficiency of your
miners.
Distribution, Marketing and Strategic Relationships, page 7
8. We note your disclosure on page 7 that Coinmint has agreed to house
and power the
mining equipment in its facilities and that it has agreed to use
commercially reasonable
efforts to mine bitcoin on your behalf. In future filings, please
disclose whether Coinmint
contributes your computing power to a mining pool that it or another
third-party operates,
and please identify the mining pool operator or operators. In this
regard, we note your
disclosure regarding Foundry Digital on page 18. Also, please discuss
how mining pools
operate more generally, and disclose whether the mining pools you use
provide services
only for bitcoin mining or if they are multi-crypto asset mining
pools. Also disclose the
fees associated with participating in the mining pools and whether the
payouts you receive
from Coinmint, Foundry Digital and any other mining pools are limited
to only bitcoin. In
addition, please disclose the processing power you contribute to each
mining pool you
Gary A. Vecchiarelli
CleanSpark, Inc.
February 6, 2023
Page 3
currently use.
Cybersecurity, page 10
9. In future filings, please disclose your custody procedures and
arrangements by identifying
all third-party custodians and the material terms of the agreements,
including:
what portion of your bitcoin or other crypto assets, if any, are
held in hot wallets and
cold wallets;
the geographic location where crypto assets are held in cold
wallets;
whether any persons (e.g., auditors, etc.) are responsible for
verifying the existence
for the crypto assets held by the third party custodian(s);
a description of your custodian s insurance and the degree to
which those policies
provide coverage for the loss of your crypto assets; and
whether any insurance providers have inspection rights associated
with the crypto
assets held in storage.
10. In future filings, please describe the terms and provisions of any
insurance policies
covering your crypto assets in the event of loss or fraud and any
insurance policies
covering your miners, including the amount of coverage, term and
termination provisions,
renewal options and limitations on coverage. To the extent that you do
not have insurance
coverage for your crypto assets or miners, please add risk factor
disclosure.
The value of bitcoin has historically been subject to wide swings, page 17
11. In future filings, please expand this risk factor to include
quantitative information
regarding the wide swings of bitcoin prices.
If the SEC or another regulatory body consider bitcoin to be a security, page
28
12. In future filings, please confirm whether you mine crypto assets other
than bitcoin or have
plans to mine crypto assets other than bitcoin. If so, please identify
the relevant assets
and expand this risk factor to briefly discuss the process and
framework you have in place
to determine whether any crypto assets that you may mine, hold or
acquire are securities
as defined under Section 2(a)(1) of the Securities Act. In this regard
we note your
references on page 28 and elsewhere to "bitcoin or other
cryptocurrencies we mine or
otherwise acquire or hold for our own account."
Management's Discussion and Analysis of Financial Condition and Results of
Operations
Results of Operations for the Year Ended September 30, 2022 and 2021, page 37
FirstName LastNameGary A. Vecchiarelli
13. In future filings, please revise to include a discussion regarding your
daily average GPUs
Comapany NameCleanSpark,
and their Inc.and difficulty for each of the periods
presented. Refer to Item
average hashrate
303(a)
February of Regulation
6, 2023 Page 3 S-K and SEC Release No. 33-10751.
FirstName LastName
Gary A. Vecchiarelli
FirstName
CleanSpark,LastNameGary A. Vecchiarelli
Inc.
Comapany6,NameCleanSpark,
February 2023 Inc.
February
Page 4 6, 2023 Page 4
FirstName LastName
Non-GAAP Measure, page 39
14. In future filings, please revise your non-GAAP disclosure for the
following:
Revise to clarify how the following adjustments for (a) other
impairment loss (related
to bitcoin), (b) realized gain on sale of bitcoin, and (c) legal
fees meet the definitions
in Item 10(e)(1)(ii)(B) of Regulation S-K, and Questions 100.01
and 102.03 of the
Compliance and Disclosure Interpretations on Non-GAAP Financial
Measures.
We note your disclosure on page 39 that you have excluded non-cash
items that you
believe are not reflective of your general business performance
and for which the
accounting requires management judgment and the resulting
expenses could vary
significantly in comparison to other companies. In future
filings, please revise to
disclose in sufficient detail the nature and amounts for all
material non-cash items
that are excluded. Refer to Question 100.04 of the C&DI on
Non-GAAP financial
measures.
Note 2. Summary of Significant Accounting Policies
Revenue Recognition, page F-11
15. Please tell us the following regarding your revenue recognition:
Tell us the amount of revenue earned by each of your owned and
operated facilities
and your co-location and hosting revenues, for each of the periods
presented.
Please tell us the amounts of your energy costs, by provider, and
provide us with a
summary of the significant terms of your utility power purchase
agreements and your
renewable energy credits, for the periods presented, if
significant.
16. Please provide us your analysis supporting your revenue recognition
policy for your
mining pool participation activities. In your response, where
appropriate, reference for us
the authoritative literature you relied upon to support your
accounting:
Step 1 of ASC 606
Provide us a representative sample contract and cross reference
your analysis to the
specific provisions of that contract.
Tell us whether there are any penalties for contract termination
by either party and
explain when a contract begins and describe its term for
accounting purposes. As it
appears that you may cancel at any time, tell us what happens if
you cancel midterm.
Also explain whether you can withdraw computing power midterm and
reinstitute it
later that same day.
Step 2 of ASC 606
Substantiate how the provision of computing power to the mining
pool is your sole
performance obligation.
Step 3 of ASC 606
Identify the consideration specified in the contract, how the
amount of consideration
is determined and explain how you apply the variable
consideration constraint in
ASC 606-10-32-11 through 32-13.
Tell us the payment terms for cryptocurrencies earned from the
mining pool operator
and substantiate how valuing these assets upon receipt is not
materially different than
Gary A. Vecchiarelli
FirstName
CleanSpark,LastNameGary A. Vecchiarelli
Inc.
Comapany6,NameCleanSpark,
February 2023 Inc.
February
Page 5 6, 2023 Page 5
FirstName LastName
the fair value at contract inception.
Tell us the relevance of the fair value of cryptocurrencies on
the date received being
not materially different than the time you earned the award from
the mining pool
operator.
Tell us why it is appropriate to deduct transaction fees to the
mining pool operator
from revenue. Clarify whether the single amount (i.e., the net
fees received)
represents the transaction price paid to you in satisfaction of
your performance
obligation to the pool operator and if the amounts retained by
the pool operator relate
to the activities it must undertake to fulfill its contract with
you.
Provide your analysis of the guidance for determining the
transaction price beginning
at ASC 606-10-32-2; that is, based on your contract with the pool
operator, tell us the
amount of consideration to which you are entitled for providing
computing power to
the pool operator.
17. In future filings, please revise to disclose the following:
Whether your transaction fee revenue includes other than a digital
reward and your
consideration to disclose it separately. Refer to ASC
606-10-50-4.
The time frame of when the revenue is deposited into your wallet.
Whether the digital assets are received in whole or fractions.
18. In future filings, please reconsider the appropriateness of your
statements in the filing that
there is no definitive guidance under GAAP for the accounting for
bitcoin recognized as
revenue or held. We observe that the FASB codification is the source
of authoritative
generally accepted accounting principles and that there is
codification guidance whose
scope applies to your transactions.
Concentration of Credit Risk, page F-13
19. In future filings, revise to correct the inconsistencies in your
disclosures that the
custodian's accounts for your bitcoin are not insured by the FDIC, and
your disclosure that
the fair market value of bitcoin held in accounts covered by FDIC
limits was $11,147,478
and $23,603,210 for the periods ended September 30, 2022 and 2021.
2022 Goodwill Impairment Analysis, page F-16
20. In future filings, please revise to describe the facts and
circumstances leading to each
individually material goodwill impairment. Refer to ASC
350-20-50-2(a).
Bitcoin, page F-17
21. Regarding your impairment testing for bitcoin, please tell us the
following information
and reference for us the authoritative literature you rely upon to
support your accounting:
Tell us whether or not you evaluate multiple units (or fractional
units) of bitcoin that
have different carrying amounts for impairment as a group;
Tell us the market(s) you used to determine the quoted price used
to assess
impairment;
Gary A. Vecchiarelli
CleanSpark, Inc.
February 6, 2023
Page 6
Tell us whether these market(s) are your principal market(s),
and if not, explain why
not, and how the markets are determined;
Tell us in detail how often you assess impairment and the
timing of the quoted price
used in your assessment;
Explain how you consider a qualitative assessment given the
existence of a quoted
price on apparently active markets.
22. Please tell us how your classification of bitcoin as current assets is
consistent with the
definition of current assets in ASC 201-10-20. In your response, at a
minimum address
each of the following:
Tell us how you reasonably expect to realize your Bitcoin in cash
through sale or
otherwise when it appears that you hold significant amounts of
these assets on your
balance sheet.
For Bitcoin held at September 30, 2022 and 2021, tell us the
average length of time it
has been held and how frequently it turns over, explaining how you
calculated this
turnover.
Tell us your consideration for carrying a portion of your holdings
that are not
expected to be sold for cash as long-term.
Note 3. Discontinued Operations, page F-21
23. We note your disclosure on page F-9 that you still own patented
gasification energy
technologies and are not currently planning to sell or market these
technologies. In future
filings, if significant, please revise your disclosures to quantify
and explain how you are
accounting for these technologies.
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.
You may contact Kate Tillan at 202-551-3604 or Bonnie Baynes at
202-551-4924 if you
have questions regarding comments on the financial statements and related
matters. Please
contact Sonia Bednarowski at 202-551-3666 or Christopher Wall at 202-551-4162
with any other
questions.
FirstName LastNameGary A. Vecchiarelli Sincerely,
Comapany NameCleanSpark, Inc.
Division of
Corporation Finance
February 6, 2023 Page 6 Office of Crypto
Assets
FirstName LastName