Staff Comments.
−Removed: The Company received
−Removed: a letter dated November 15, 2021, from the Securities and Exchange Commission (“SEC”) asking for the Company for comments on
−Removed: disclosures made in the Form 10-K for the Year Ended December 31, 2020 and in the Form 10-Q for the Period Ended June 30, 2021.
−Removed: pertained to disclosures under Items 307 and 308 of Regulation S-K.
−Removed: Item 307 of Regulation S-K addresses “Disclosure Controls
−Removed: and Procedures” and Item 308 of Regulation S-K addresses “Internal Control Over Financial Reporting.” The Company
−Removed: responded to the inquiry.
−Removed: In a letter to the Company from the Securities and Exchange Commission dated February 2, 2022, the SEC stated,
−Removed: “We have completed our review of your filings.” This action closed the matter.
+Added: Company received a letter dated November 15, 2021, from the Securities and Exchange Commission (“SEC”) asking for the Company
+Added: for comments on disclosures made in the Form 10-K for the Year Ended December 31, 2020 and in the Form 10-Q for the Period Ended June
+Added: The inquiry pertained to disclosures under Items 307 and 308 of Regulation S-K.
+Added: Item 307 of Regulation S-K addresses “Disclosure
+Added: Controls and Procedures” and Item 308 of Regulation S-K addresses “Internal Control Over Financial Reporting.” The
+Added: Company responded to the inquiry.
+Added: In a letter to the Company from the Securities and Exchange Commission dated February 2, 2022, the
+Added: SEC stated, “We have completed our review of your filings.” This action closed the matter.
Compared sentence by sentence after normalising whitespace, quotation marks, case and digits, so re-formatting and restated figures do not read as changed language. Wording changes appear as one removal and one addition. The current filing and the prior one are authoritative.