SEC comment letter
Filing comparison
Crescent Private Credit Income Corp responded to SEC staff comments on MD&A
Letter dated 2026-02-25; published on EDGAR 2026-09-08 — the SEC releases comment letters only after the review closes.
We note that “Other general and administrative expenses” appear to be significant. Please confirm that any categories of other expenses that exceed 5% of total expenses have been separately identified in accordance with Regulation S-X 6-07.2(b). Response: The Fund advises the Staff that for the fiscal year ended December 31, 2024, the $2,258 thousand of “Other general and administrative expenses” set forth on the…
Evidence
- Cited sections
- Note 5. Fair Value of Financial Instruments –, page 103
- Direction
- company to staff
- Letter dated
- 2026-02-25
- Published on edgar
- 2026-09-08
- Reviewing
- Crescent Private Credit Income Corp. Annual Report on Form 10-K for the year ending December 31, 2024 File No. 814-01599 Ladies and Gentlemen: This letter is se
- Source
- Company response to SEC staff (CORRESP)
- Topics
- MD&A, Fair value
- 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.