August 1, 2012
VIA EMAIL: HILLB@SEC.GOV
United States Securities and Exchange Commission
Division of Corporation Finance
Washington DC 20549
Attention: Brandon Hill
Re: | Letter dated July 26, 2012 from Mr. Larry Spirgel, Assistant Director |
Universal Electronics Inc. |
Form 10-K for Fiscal Year Ended December 31, 2011 |
Filed March 14, 2012 |
Definitive Proxy Statement on Schedule 14A |
Filed April 27, 2012 |
File No. 000-21044 |
Dear Mr. Hill:
We have reviewed the comments of the staff in Assistant Directors Spirgel letter dated July 26, 2012 and offer the following responses. To aid the staffs review of this information, we have included the staffs comments in standard print and the Companys responses in italics, and have referenced all of our responses to the staffs comments as numbered in Assistant Directors Spirgel letter dated July 26, 2012.
Form 10-K for Fiscal Year Ended December 31, 2011
Off Balance Sheet Arrangements, page 36
1. | We note your disclosure that you do not participate in any off balance sheet arrangements [o]ther than the contractual obligations disclosed above. Pursuant to Item 303(a)(4) of Regulation S-K, you are required to discuss off-balance sheet arrangement that have or are reasonably likely to have a current or future effect on your performance. To the extent you have off-balance sheet arrangements, in your future filings please provide the disclosure specified by paragraphs (A), (B), (C) and (D) of Item 303(a)(4)(i) of Regulation S-K. |
Response No. 1
In our future filings, we will provide the disclosure specified by paragraphs (A), (B), (C) and (D) of Item 303(a)(4)(i) of Regulation S-K to the extent we have off-balance sheet arrangements.
UNIVERSAL ELECTRONICS INC.
6101 Gateway Drive
Cypress, California 90630
714.820.1000
714.820.1010 Facsimile
www.ueic.com
United States Securities and Exchange Commission
August 1, 2012
Page 2
Definitive Proxy Statement on Schedule 14A
Compensation Discussion and Analysis, page 25
2. | We note your disclosure that you use performance ratings to place your individual executives in the lower, middle or upper third of the total direct compensation opportunity range. In your future filings, please disclose within this section the overall rating for each named executive officer during the applicable period and their placement in the total direct compensation opportunity range for each period. |
Response No. 2
In our future filings, within the Compensation Discussion and Analysis we will disclose within the Compensation Discussion and Analysis section the overall rating for each named executive officer during the applicable period and their placement in the total direct compensation opportunity range for each period.
Please also be advised that the company acknowledges that:
| the company is responsible for the adequacy and accuracy of the disclosure in the filing; |
| staff comments or changes to disclosure in response to staff comments do not foreclose the Commission from taking any action with respect to the filing; and |
| the company may not assert staff comments as a defense in any proceeding initiated by the Commission or any person under the federal securities laws of the United States. |
We hope the preceding information is responsive to the staffs comments contained in Assistant Directors Spirgel letter dated July 26, 2012. Please call me or write to me should you or your staff have any questions or comments regarding this response. My email address is bhackworth @ueic.com and my direct telephone number is +1.714.820.1170.
Respectfully submitted,
UNIVERSAL ELECTRONICS INC. |
/s/ Bryan M. Hackworth |
Bryan M. Hackworth |
Senior Vice President and CFO |
c: | Paul D. Arling |
Richard A. Firehammer, Jr., Esq. |