Attention: |
Mr. Karl Hiller |
|
Mr. Joseph Klinko |
1.
|
We note that you present a gross margin percentage for your Brokerage segment although in describing the computation you indicate that brokerage revenue less purchased transportation
expense is being expressed as a percentage of "total operating revenue."
Please provide us with your computations of the Brokerage segment margin measures for each period and if the denominator in your computations is total operating revenue, rather than brokerage revenue,
explain your rationale. Also provide us with your computations of the gross margin percentages for the Truckload segment and the consolidated entity and if there are material variations compared to your Brokerage segment gross margin
percentages, tell us how you have considered these details for disclosure.
Please identify and quantify the components considered as cost of sales in computing your gross margin percentages for each segment, reconciled to the line items in your financial statements, and clarify
how purchased transportation costs are appropriately identified as the only costs of sales for the brokerage segment in your view. For example, explain how you considered the costs of "brokerage employees" mentioned on page 38.
|
Year Ended December 31,
|
||||||||||||||||||||
2021
|
2020
|
|||||||||||||||||||
$ |
|
%
|
$ |
|
%
|
% Chg
|
||||||||||||||
(dollars in thousands)
|
||||||||||||||||||||
Brokerage operating revenues
|
381,006
|
100.0
|
%
|
228,825
|
100.0
|
%
|
66.5
|
%
|
||||||||||||
Brokerage operating expenses
|
||||||||||||||||||||
Brokerage Purchased transportation
|
332,863
|
87.4
|
%
|
209,298
|
91.5
|
%
|
59.0
|
%
|
||||||||||||
Other Brokerage operating expenses
|
45,041
|
11.8
|
%
|
32,236
|
14.1
|
%
|
39.7
|
%
|
||||||||||||
Total Brokerage operating expenses
|
377,904
|
99.2
|
%
|
241,534
|
105.6
|
%
|
56.5
|
%
|
||||||||||||
Brokerage operating income
|
3,102
|
0.8
|
%
|
(12,709
|
)
|
-5.6
|
%
|
N/A
|
2.
|
Given the distinguishing characteristics of your Truckload and Brokerage services, please expand your discussion and analysis to address the attribution of costs and expenses to these
operating segments (e.g. quantify salaries, wages, and related expenses, and purchased transportation), consistent with Item 303(b) of Regulation S-K, and describe any material variations in the amounts or relationships with the
associated revenues.
With regard to the increasing significance of the Variant operations and related concerns, please also disclose how the Variant operations are impacting revenues and expenses to comply
with Item 303(a) of Regulation S-K (i.e. provide descriptions and amounts of matters that have had a material impact on reported operations, as well as matters that are reasonably likely to have a material impact on future operations).
|
3.
|
We note that you identify and discuss several matters involving litigation which you appear to collectively summarize with two partially conflicting disclosures, stating that management
believes ultimate disposition" is not expected to have a materially adverse effect" on your financial position or results of operations, while also stating that "outcomes could be material to our
operating results for any particular period…"
Please revise your disclosures to resolve these conflicting perspectives and to specify the extent of damages claimed by the counterparties for each matter, where you are unable to
estimate the amount of reasonably possible loss or reasonably possible range of loss. Please also clarify which amounts are associated with your disclosure stating that damages claimed "are unsupported and/or exaggerated," and identify
those matters for which damages have not yet been quantified or fully quantified.
Please also explain whether your assessments associated with the term "ultimate disposition" are based on an estimate of the cumulative settlement amounts, or are
focused on a potential final periodic charge, excluding any existing reserves, as suggested on page 33, or possible subsequent adjustments to reserves prior to an ultimate disposition; and modify the associated risk factor disclosures
on pages 27 and 30, and the legal proceedings disclosure on page 33, as necessary to clarify your assessments of the reasonably possible outcomes of present litigation and to differentiate these from the risks of loss associated with
unrelated future litigation.
Tell us how your various disclosures expressing a view on the materiality of ultimate disposition, as referenced above, reconcile with disclosures on pages 72-75, indicating that you have been unable to
estimate your exposure to loss.
|
4.
|
We understand from your disclosure that you aggregate OTR trucking and dedicated contract services in the Trucking segment because you have concluded that these operations have similar
economic characteristics. You explain that OTR includes "solo and expedited" team services, while dedicated contract involves equipment and services being provided under long-term contracts.
Given your disclosure on page 39, describing the primary factors underlying changes in Truckload revenue, stating that a 13.2% increase in average revenue per loaded mile is "primarily
due to an approximate 9.0% increase in contractual rates combined with a greater than 40% increase in spot rates...," please clarify how you are able to maintain that OTR and dedicated contract service offerings have similar economic
characteristics, i.e. address the apparent differing levels of exposure to market shipping rates.
Also explain to us how the Variant operations described on pages 4, 7, 19, and 35, would meet the economic criteria for aggregation, considering the economic dissimilarities that you
mention and the change in leadership announced in your 2021 earnings release, with technology and operations teams now reporting directly to your CEO.
If you believe that the OTR, brokerage and Variant operations are appropriately aggregated based on similar economic characteristics please submit for our review the analyses that you have performed in
arriving at this view, covering their actual historic performance and any assumptions regarding their long-term performance.
|
5.
|
Given that you report operating income/loss as the segment performance measures, please expand your tabulations to include depreciation, depletion, and amortization expense attributable
to each segment to comply with FASB ASC 280-10-50-22(e).
|
2021 |
2020 | |
2019 |
|||||||||||||||
Revenues
|
|
|
|
|||||||||||||||
Truckload
|
|
$
|
1,567,520
|
|
$
|
1,513,276
|
|
$
|
1,521,494
|
|||||||||
Brokerage
|
|
|
381,006
|
|
|
228,825
|
|
|
185,867
|
|||||||||
Total Operating Revenue
|
|
$
|
1,948,526
|
|
$
|
1,742,101
|
|
$
|
1,707,361
|
|||||||||
|
|
|
|
|
|
|
|
|
|
|||||||||
Operating Income (Loss)
|
||||||||||||||||||
Truckload
|
|
|
$
|
15,323
|
|
|
$
|
56,267
|
|
|
$
|
24,071
|
||||||
Brokerage
|
|
3,106
|
|
-12,716
|
|
1,999
|
||||||||||||
Total Operating Income
|
|
|
$
|
18,429
|
|
|
$
|
43,551
|
|
|
$
|
26,070
|
||||||
Depreciation & Amortization
|
||||||||||||||||||
Truckload
|
|
|
$
|
79,219
|
|
|
$
|
101,490
|
|
|
$
|
94,017
|
||||||
Brokerage
|
|
2,757
|
|
1,337
|
|
320
|
||||||||||||
Total Depreciation & Amortization
|
|
|
$
|
81,976
|
|
|
$
|
102,827
|
|
|
$
|
94,337
|
6.
|
We note your disclosure indicating that management conducted an assessment of the effectiveness of your internal control over financial reporting, and that their conclusions were subject
to audit, although you do not include a statement of their conclusions.
Please disclose management's assessment as to whether or not internal control over financial reporting was effective to comply with Item 308(a)(3) of Regulation S-K.
|
|
Sincerely, |
|
|
|
/s/ Eric Peterson |
|
Eric Peterson |
|
Chief Financial Officer |