Regulatory Filings • Mar 20, 2017
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Download Source FileCORRESP 1 filename1.htm Response Letter
March 20, 2017
VIA EDGAR SUBMISSION
Ms. Cecilia Blye
Chief
Office of Global Security Risk
United States Securities and Exchange Commission
100 F Street, N.E., Mail Stop 3561
Washington, DC 20549
Re: Amdocs Limited
Form 20-F for the Fiscal Year Ended September 30, 2016
Filed December 12, 2016
File No. 1-14840
Dear Ms. Blye:
By letter dated March 6, 2017, you provided comments on behalf of the staff (the Staff ) of the U.S. Securities and Exchange Commission (the SEC ) to our client, Amdocs Limited ( Amdocs or the Company ) with respect the Companys annual report on Form 20-F for the fiscal year ended September 30, 2016 (the Form 20-F ). On behalf of the Company, we hereby provide the Companys responses to those comments as indicated below. The text set forth below in bold-faced type is a verbatim reproduction of the comments included in your letter.
General
Response
The Company has checked with its relevant business units to determine whether it has any direct or indirect contact with Syria or Sudan, and has determined that it does not have any current or anticipated contact with either Syria or Sudan, either directly or through its subsidiaries, affiliates or resellers. The Company has also examined its records and has not identified any past contacts with those countries. None of the Companys customers are located in either Syria or Sudan, and while some of its customers may have operations in those countries, the Company typically sells its products with licenses to use them in specified jurisdictions, and neither Syria nor Sudan are expressly included in any of its contracts.
With respect to the particular examples cited by the Staff in the letter:
the Company understands that Deutsche Telekom, one of its customers, may operate in Syria and/or Sudan through affiliates. Pursuant to the terms of some of the Companys agreements with Deutsche Telekom, certain of Deutsche Telekoms affiliated entities may utilize some of the Companys products or services. Such affiliated entities are required to execute an adherence agreement or issue a purchase order, each of which must be accepted by Amdocs, before being able to utilize Amdocss products or services. To date, none of Deutsche Telekoms affiliates who operate in Syria or Sudan have acceded to the contract or issued a purchase order. If these affiliates were to make such an adherence agreement or purchase order request, Amdocs has informed us that its current intent would be not to agree to provide such products or services.
in June 2010, Huawai certified Amdocs for the delivery of a pre-integrated network fulfillment solution for the Huawai U2000 network management system. Amdocs only sought such certification in order to deliver such network fulfillment solution to one specific customer who had that system and the system was not operated in Syria or Sudan.
Response
As noted above, the Company does not have any current or anticipated contact, and has not identified any past contact, with either Syria or Sudan and accordingly does not believe disclosure is warranted.
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The Company thanks you for your review and comments. Should you have any questions about the responses contained herein, please contact Amir Kaiser, the Companys General Counsel, at +972 9 776 2074 or by e-mail to [email protected] or the undersigned at 212-450-4111 or by e-mail to [email protected].
| Very truly yours, |
|---|
| /s/ Michael Kaplan |
| Michael Kaplan |
cc: Tamar Rapaport-Dagim, CFO
Amdocs Management Limited
Amir Kaiser, General Counsel
Amdocs Management Limited
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