Craig M. Garner Direct Dial: +1.858.523.5407 craig.garner@lw.com
June 22, 2021
VIA EDGAR
Ms. Jessica Livingston Office of Finance Division of Corporation Finance U.S. Securities and Exchange Commission 100 F Street N.E. Washington, D.C. 20549 |
12670 High Bluff Drive San Diego, California 92130 Tel: +1.858.523.5400 Fax: +1.858.523.5450 www.lw.com
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File No. 055254-0024 |
Re: | Bridge Investment Group Holdings Inc. |
Amendment No. 1 to
Draft Registration Statement on Form S-1
Submitted May 27, 2021
CIK No. 0001854401
Dear Ms. Livingston:
We are in receipt of the Staffs letter dated June 4, 2021 with respect to the above-referenced confidential amended draft Registration Statement (the Amended Draft Registration Statement). We are responding to the Staffs comments on behalf of Bridge Investment Group Holdings Inc. (Bridge or the Company) as set forth below. Simultaneously with the submission of this letter, the Company is publicly filing via EDGAR the Registration Statement (the Registration Statement) responding to the Staffs comments and updating the Amended Draft Registration Statement.
All terms used but not defined herein have the meanings assigned to such terms in the Registration Statement. For ease of reference, we have set forth the Staffs comment and the Companys response below.
June 22, 2021
Page 2
Amendment No. 1 to Draft Registration Statement on Form S-1
Non-GAAP Financial Measures, page 106
1. We note your revised disclosure on page 106, in response to comment 5, explaining the components of the reconciling line item labeled net earnings from Bridge property operators. It does not appear as though loss and loss adjustment expenses are included in this reconciling line item as indicated in the disclosure describing the calculation of property operating expenses on page 106. Please explain or revise as necessary.
Bridges Response: In response to the Staffs comment, the Company has revised the disclosure on pages 32 and 107 of the Registration Statement to delete the references to loss and loss adjustment expenses. The Bridge property operators have not incurred such expenses during the periods presented.
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Any comments or questions regarding the foregoing should be directed to the undersigned at 858-523-5407. Thank you in advance for your cooperation in connection with this matter.
Very truly yours, |
/s/ Craig M. Garner |
Craig M. Garner of LATHAM & WATKINS LLP |
cc: | J. Nolan McWilliams, Securities and Exchange Commission |
Ben Phippen, Securities and Exchange Commission
Amit Pande, Securities and Exchange Commission
Matthew Grant, Bridge Investment Group Holdings Inc.
Jonathan Slager, Bridge Investment Group Holdings Inc.
Adam OFarrell, Bridge Investment Group Holdings Inc.
Chad Briggs, Bridge Investment Group Holdings Inc.
Marc D. Jaffe, Latham & Watkins LLP
Ryan K. deFord, Latham & Watkins LLP
Kevin C. Reyes, Latham & Watkins LLP
Samir A. Gandhi, Sidley Austin LLP
Bartholomew A. Sheehan, Sidley Austin LLP