On February 8, 2021, the Division of Corporation Finance of the Securities and Exchange Commission (SEC) published a sample comment letter that the SEC might send to issuers that conduct securities offerings during periods of extreme stock price volatility. The sample letter (available here) identifies a number of sample comments that the SEC may provide to issuers conducting securities offerings amid market and price volatility.
The sample comments focus on the disclosures made on the prospectus cover page and in the risk factors and use of proceeds sections regarding the impact of price volatility on an offering, investors, and the issuer. The sample comments are not intended to be an exhaustive list of issues, and any comments issued by the SEC would be based on the specific offering, as well as the issuer involved.
Issuers should describe recent price volatility of their stock and disclose any known risks of investing in their stock during periods of market and price volatility. Additionally, issuers should indicate, for comparison purposes, the market price of their stock before the recent price volatility, as well as describe recent changes to their financial condition or results of operations that are consistent with recent changes in their stock price (and, if no such changes have occurred, include a statement to that effect).
Issuers should consider including risk factors that:
Issuers should include clear disclosure about the maximum offering amount, the stock price that it is predicated on, that they may not raise the maximum offering amount unless they meet or exceed that price, and, to the extent applicable, include a discussion on its priorities for the intended use of proceeds in the event the issuer raises less than the maximum offering amount.
The SEC also encouraged issuers experiencing extreme stock price volatility to contact the industry office within the SEC that is responsible for their filings to discuss any questions regarding the issuer’s proposed disclosure.