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October 25, 2017
VIA EDGAR
United States Securities and Exchange Commission Division of Corporation Finance 100 F Street, N.E. Washington, D.C. 20549-6010 |
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Attention: |
Frank Wyman | |
Lisa Vanjoske | ||
Irene Paik | ||
Erin Jaskot |
Re: | Ascendis Pharma A/S | |||
Form 20-F for the Fiscal Year Ended December 31, 2016 | ||||
Filed March 22, 2017 | ||||
File No. 001-36815 |
Ladies and Gentlemen:
On behalf of Ascendis Pharma A/S (the Company), we are hereby responding to the comment letter to the Companys Form 20-F for the fiscal year ended December 31, 2016 received on September 26, 2017 from the staff of the Commission (the Staff). We have set forth below each of the numbered comments of your letter in bold type followed by the Companys responses thereto.
Form 20-F for the Fiscal Year Ended December 31, 2016
Business Overview
TransCon product candidate pipeline, page 61
1. | We note that the product candidate pipeline chart on your website indicates that you have completed Phase 2 clinical trials for TransCon hGH for the treatment of adult growth hormone deficiency. However, we note that you have not separately listed pediatric and adult growth hormone deficiency as indications in your pipeline chart in the Form 20-F and you do not provide any disclosure about your completed clinical trials for adults. With a view toward disclosure in future filings, please tell us why you do not include disclosure about TransCon hGH for adult growth hormone deficiency and your future development plans for this product candidate. |
Response: The Company respectfully acknowledges the Staffs comment. The Company has updated the pipeline chart on its website to align with the pipeline chart in the Companys most recent filings with the Securities and Exchange Commission. The Company has further clarified in its pipeline chart that TransCon hGH is in phase 3 for pediatric growth hormone deficiency. For reference, please see Annex A to this response letter for the Companys updated pipeline chart.
The Company is currently focused on completing a phase 3 clinical trial of TransCon hGH for pediatric growth hormone deficiency, in addition to pursuing the research and development of the Companys other product candidates. Given these focus areas, the Company has not specifically been pursuing the development of TransCon hGH for adult growth hormone deficiency and, for this reason, the Company has focused its TransCon hGH disclosures on its ongoing pediatric trials of TransCon hGH. Accordingly, the Company believes its current disclosures with respect to its TransCon hGH program for pediatric growth hormone deficiency are aligned with its current area of focus. If in the future the Company evaluates and decides to pursue additional trials that are determined to be necessary or appropriate to achieve regulatory approval of TransCon hGH for adult growth hormone deficiency or any other indication for which TransCon hGH may be a treatment, it expects to add appropriate disclosures regarding such additional indications.
Consolidated Statements of Financial Position, page F-4
2. | Tell us why you present retained earnings when you are incurring losses and why you do not present share premium separate from retained earnings and share capital for capital increases. |
Response: The Company respectfully acknowledges the Staffs comment. Retained earnings include all accumulated profits and losses and share premiums since the Companys inception and, as such, represent a net positive amount. As the Company has stated in Note 2 to its Financial Statements included in its Annual Report for the year ended December 31, 2016, [r]etained earnings include the accumulated profit or loss as well as share premium comprising the amount received, attributable to shareholders equity, in excess of the nominal amount of the shares issued at the parent companys capital increases, reduced by any expenses directly attributable to the capital increases. The Company believes that the most appropriate term for such combined positive balance is retained earnings to reflect the nature of the accumulated balance, as disclosed in Note 2 to the Companys Financial Statements included in its Annual Report for the year ended December 31, 2016.
The Danish Financial Supervisory Authority (the Danish FSA) concluded in a ruling from 2011 [Comendo A/S Decision regarding the IFRS annual report for 2008/09] that the presentation of share premium in an annual report shall be based on the requirements of the Danish company law, according to which share premium is an unrestricted reserve that is available to be distributed as dividends to a companys shareholders. In this 2011 ruling, the Danish FSA concluded that share premium can be included in retained earnings when presented in financial statements prepared in accordance with International Financial Reporting Standards (IFRS). IFRS does not require the use of a
separate line item presentation for share premium; rather, paragraphs 77 and 78 of International Accounting Standard 1 encourage entities to consider the size, nature and function of the line items in its statement of financial position and present sub-classifications that are considered appropriate to an entitys operations. Given the prior ruling by the Danish FSA and the requirements of IFRS, the Company believes it is appropriate to include share premiums in retained earnings because share premium is a reserve that is not restricted and it is common for Danish companies reporting under IFRS to include share premium in retained earnings, rather than as a separate reserve.
We hope the foregoing answers are responsive to your comments. Please do not hesitate to contact me by telephone at (650) 463-3043 or by fax at (650) 463-2600 with any questions or comments regarding this correspondence.
Very truly yours, |
/s/ Mark V. Roeder |
Mark V. Roeder of LATHAM & WATKINS LLP |
cc: | Scott T. Smith, Ascendis Pharma A/S |
Michael Wolff Jensen, Ascendis Pharma A/S
Annex A
Updated Pipeline Chart
Ascendis Internal Endocrinology Pipeline
Current/Potential Strategic Collaborations
1 | Based on market data and company estimates. |
2 | TransCon Growth Hormone is in phase 3 for pediatric growth hormone deficiency. |
3 | Includes all indications. |
4 | Based on treatment of ~25% of the U.S. patient population of ~77,000 patients |