NYSSA Forum Program (1999 - 2001)

 

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Amazon: Workshop for Analysts:

December 7, 2000 letter to CEO Bezos

encouraging audit committee review of

Amazon responses to information requests (included)

   

The material copied below had been published on a web site maintained by the New York Society of Security Analysts ("NYSSA"), and was accessible from a link on a summary page for the Forum Program.

 

[letterhead]

LUTIN & COMPANY

575 MADISON AVENUE, 10th FLOOR

NEW YORK, NEW YORK 10022

Telephone (212) 605-0335

Facsimile (212) 605-0325

 

                                                                                                                December 7, 2000

 

 

By telecopier: 206/266-2901

 

Mr. Jeffrey P. Bezos

Amazon.com, Inc.

1200 12th Avenue South, Suite 1200

Seattle, Washington 98144-2734

 

 

Dear Mr. Bezos:

 

                As you may know, I've been communicating with Mr. Grandinetti and others at Amazon in relation to a "Forum" program I'm advising and co-sponsoring with the New York Society of Security Analysts' Committee for Corporate Governance, and also in relation to an associated "PAIS" (Performance Analysis and Information Standards) Panel which I chair.  The Forum recently established a "Workshop for Analysts" to address more detailed issues about the investment information provided by Amazon.

 

                It was our understanding that the Workshop's inquiries would be treated the same as those of any investor or analyst.  In this context, members of both the PAIS Panel and the Workshop are concerned that Amazon's responses have not satisfied reasonable investor information requirements.  Based on our experience, I encourage you or Amazon's audit committee to review your policies and practices for providing information to investors.

 

                An accompanying reference copy of the Workshop's November 21st information requests shows underlined responses received from Amazon earlier this week.

 

                I hope you'll make use of the Workshop's continuing inquiries as an opportunity for Amazon to help define and demonstrate a "best practices" standard for communications with analysts.  Please feel free to call me, or to have Mr. Alberg or Ms. Stonesifer of your audit committee call me, for any background information you may require.

 

                                                                                                                Sincerely yours,

 

 

 

 

                                                                                                                Gary Lutin

cc:           Mr. Tom A. Alberg

                Mr. Peter F. Brennan

                Mr. Russell Grandinetti

                Ms. Patricia Q. Stonesifer

 

 

[12/4/00 Amazon responses underlined]

 

Workshop for Analysts

 NYSSA Forum

Amazon.com: Responsibility for Information

 

The information requests listed below are submitted to Amazon.com on behalf of the "Workshop" organized by the New York Society of Security Analysts' Committee for Corporate Governance in conjunction with its Forum program, "Amazon.com: Responsibility for Investment Information."

 

It should be understood that these requests were prepared to incorporate a variety of suggestions from Workshop participants, representing a wide range of perspectives and levels of familiarity regarding Amazon.  The purpose of the Forum and NYSSA, as a not‑for‑profit educational organization, is to facilitate the presentation of all views, and not to endorse any.  According NYSSA policies, the Workshop's requests and Amazon's responses will be made available to the public.  Amazon is of course expected to follow its own policies regarding disclosures to investors and analysts.

 

Unless indicated otherwise, the requested information is for the 1999 fiscal year and for interim periods of the year 2000.  Responses, particularly those concerning trends or historical relationships, should of course be based on comparable periods or trailing year numbers, as appropriate, to avoid seasonality distortions.  GAAP definitions are assumed; if responses provide "pro forma" numbers, they should be presented with detailed explanations of each specific adjustment from GAAP.  Similarly, any non‑financial "metrics" should be clearly defined in terms of primary data sources.

 

 

Information Requests

 

1.             In relation to reported Net Sales:

                a)             What amounts or portions of revenue have been generated from each of the following types of activity during the past 3 years and the latest interim period, and what is anticipated for the full year 2000 and 2001?

                                i)              Amazon's sales of its own inventory, directly through Amazon's own web site, to "retail" customers.  Refer to our Net Sales section of Management's Discussion and Analysis in our 1999 Form 10‑K and our September 30, 2000 Form 10‑Q.

                ii)             Charges for shipping or other services for which all associated expenses are not included in Cost of Sales.  See 1.a.i above.

                iii)            Other sources, including but not limited to agency, auction, consignment or other sales of products not inventoried by Amazon; from sales of products to other retailers rather than directly to ultimate consumers; from advertising sales; and from sales of any other services.  See 1.a.i. above.

                b)            What are the specific provisions and amounts of the following types of transactions, including but not limited to those associated with Amazon Commerce Network ("ACN") relationships and identified in Footnote 1 ‑ Accounting Policies, Revenue Recognition?

                                i)              Revenue realized other than in cash.  See 1.a.i. above and Note 1 of our 1999 Form 10‑K, and Overview to Management's Discussion and Analysis and Note 6 in our September 30, 2000 Form 10‑Q.

                                ii)             Agreements linking revenue to investments.  1.b.i. above.

                                iii)            Agreements linking revenue to other financing or commercial commitments.  See 1.b.i. above.

                                iv)           Any other arrangements which might be considered "related party transactions."  See 1.b.i. above.

                c)             What are the amounts, if any, of revenue included in Net Sales from the following types of transactions?

                                i)              Transfers of inventory or other operating assets which will not be replaced in the continuing conduct of Amazon's business, including but not limited to the recent sale of inventory to Toys "R" Us.  See 1.b.i. above.

                                ii)             Grants of rights, interests or concessions in any commercial activity, including but not limited to licensing or joint venture agreements.  See 1.b.i. above.

                                iii)            Charges for shipping or other services associated with products sold from inventories owned by parties other than Amazon.  See 1.b.i above.

 

2.             In relation to "Operating Cash Flow," defined for purposes of these requests as excluding "Changes in operating assets and liabilities" from the reported "Net cash used in operating activities" in your Statements of Cash Flows:

                a)             Do you expect Operating Cash Flow to be positive for

                                i)              the 4th quarter of 2000? In our October 24, 2000 press release and conference call, we did not provide any guidance on operating cash flow as defined above.

                                ii)             the full year 2000? See 2.a.i.

                                iii)            the 1st quarter of 2001, and the trailing 12 months?  See 2.a.i.

                                iv)           the full year 2001? See 2.a.i.

                b)            Does Operating Cash Flow include consideration received in forms other than cash?  Total cash used in operating activities, as defined by GAAP, does not include non‑cash amounts.

                c)             Is Operating Cash Flow adjusted to reflect uses of cash which are a condition of generating revenue, including but not limited to purchases of securities as part of a commercial agreement?  Cash purchases of securities are reported within investing activities under GAAP.

                d)            To the extent that transactions involve investments which are not publicly traded, or for which liquidity is otherwise restricted, how is the value impairment determined and reported?  Refer to the Non‑Cash Investment Gains and Losses, Net section of Management's Discussion and Analysis in our September 30, 2000 Form 10‑Q.

 

3.             In relation to investments in marketable securities, including but not limited to the ACN investments, what are the original costs and current book values of each, as of the end of each quarter in 1999 and 2000?  Refer to our statement of cash flows, and Notes 3 and 6 in our 1999 Form 10‑K  Also refer to our statement of cash flows included in our Form 10‑Q for each quarter of 2000, our balance sheet as of September 30, 2000 and Notes 2, 4, 5 and 9 in our September 30, 2000 Form 10‑Q.

 

4.             Is there any existing or threatened litigation by investors in the European "PEACS" issue of subordinated convertible notes sold in February 2000? Refer to Note 11 of our June 30, 2000 Form 10‑Q.

 

5.             What does Amazon plan to do differently from existing retailers to make profits in the price‑competitive consumer electronics business?  As we mentioned on prior web‑cast quarterly conference calls, Amazon.com intends to drive toward profitability in each business we are in. 

 

                There is a company in the similarly competitive physical world electronics business that achieved an operating profit margin of over 4% for their most recent year ended 2000.

 

6.             How does Amazon plan to shift its unprofitable price‑sensitive customer base, historically attracted by discounts, to a profitable quality‑sensitive customer base which is willing to pay for better service? Consistent with our comments on prior web‑cast quarterly conference calls, when we have asked our customers, they have said that price is not the most important factor in their decision to buy from Amazon.com.  Other aspects of our value proposition to customers, in addition to a competitive price, include service, selection, convenience, trust/security, etc.  Interestingly, in a recent Bernstein Retail Perception Survey, among major U.S. retailers, Amazon.com ranked in the top 5 for  "good value for money" and ranked 1st in service, quality of products, wide range/assortment of products, convenience, and overall.

 

 

November 21, 2000

 

Peter F. Brennan, Chairman, NYSSA Committee for Corporate Governance

                (c/o MidCap Investors LLC, 50 Broad Street, New York, NY 10004; 212/668‑3033)

Gary Lutin, Forum adviser and co‑sponsor

                (c/o Lutin & Company, 575 Madison Avenue, New York, NY 10022; 212/605‑0335)

 

 

Material dated between January 1999 and July 2001 was originally published on the web site of the New York Society of Security Analysts ("NYSSA"), and was provided by Gary Lutin as co-sponsor of a "Forum Program" conducted for public educational purposes with NYSSA's Committee for Corporate Governance and Shareholder Rights during that period. Material dated after July 2001 was not published by the NYSSA unless specifically indicated.

For additional information, send an inquiry to admin@shareholderforum.com.