October 9, 2019
Ms. Jennifer Monick
Assistant Chief Accountant
Office of Real Estate and Commodities
Securities and Exchange Commission
100 F Street, N.E.
Washington D.C. 20549
RE: | The Macerich Company |
Form10-K for the year ended December 31, 2018 |
Filed February 25, 2019 |
Form10-Q for the quarterly period ended June 30, 2019 |
Filed August 5, 2019 |
FileNo. 001-12504 |
Dear Ms. Monick:
We are writing in response to your letter dated October 3, 2019, setting forth the additional comment of the staff (the “Staff”) of the Securities and Exchange Commission (the “Commission”) on theForm 10-Q for the quarterly period ended June 30, 2019 (the “Form10-Q) of The Macerich Company (the “Company”). For your convenience, your comment is restated in italics prior to the Company’s response to the comment below.
Form 10-Q for the quarterly period ended June 30, 2019
Item 2. Management’s Discussion and Analysis of Financial Condition and Results of Operations
Funds from Operations (“FFO”), page 42
1. | We note your response to comment 1 of our letter dated September 12, 2019. We are unclear how your exclusion of the Chandler Freehold financing expense is consistent with the commonly understood industry definition of FFO. Please revise future filings to retitle the measure or remove the related adjustment. |
The Company acknowledges the Staff’s comment and will retitle the measure in future filings.
Ms. Jennifer Monick
Securities and Exchange Commission
October 9, 2019
Page 2
If you have any questions, please feel free to contact me at(310) 394-6000.
Sincerely,
The Macerich Company |
/s/ Scott W. Kingsmore |
Scott W. Kingsmore Executive Vice President, Treasurer and Chief Financial Officer |
cc: | David Roberts |
Goodwin Procter LLP |