SEC comment letter
Filing comparison
SEC staff questioned CME GROUP INC.'s accounting for non-GAAP measures
Letter dated 2025-09-12; published on EDGAR 2026-07-02 — the SEC releases comment letters only after the review closes.
We note that you do not quantify Adjusted Operating Income or include a reconciliation from a GAAP measure to this non-GAAP measure. Please either remove reference to this non- GAAP measure in future releases furnished on Forms 8-K, or advise otherwise as to why it is a meaningful and useful measure and include all of the disclosure requirements of Item 10(e) or Regulation S-K. In closing, we remind you that the…
Evidence
- Cited sections
- Note 18. Segment Reporting, page 82
- Direction
- staff to company
- Letter dated
- 2025-09-12
- Published on edgar
- 2026-07-02
- Reviewing
- CME GROUP INC. Form 10-K for Fiscal Year Ended December 31, 2024 Form 8-K Filed July 23, 2025 File No. 001-31553 Dear Lynne Fitzpatrick: We have limited our rev
- Source
- SEC staff comment letter (UPLOAD)
- Topics
- Segment reporting, Non-GAAP measures, Crypto assets
- Why
- SEC staff reviewed the company's periodic report and raised written comments on its accounting, or the company replied to them. Letters are published on EDGAR only after the review closes.