CORRESP

LOGO

May 13, 2016

Pamela Long

Assistant Director

Office of Manufacturing and Construction

United States Securities and Exchange Commission

Division of Corporation Finance

100 F Street, N.E.

Washington, D.C. 20549-3561

 

Re: Mitcham Industries, Inc.
     Amendment No. 2 to Registration Statement on Form S-1
     Filed April 22, 2016
     File No. 333-208177

Ladies and Gentlemen:

Set forth below is the response of Mitcham Industries, Inc. (the “Company”, “we,” “us” or “our”) to the comment received from the staff of the Division of Corporation Finance (the “Staff”) of the Securities and Exchange Commission (the “Commission”) by letter dated May 10, 2016, with respect to Amendment No. 2 to Registration Statement on Form S-1, File No. 333-208177, filed with the Commission on April 22, 2016 (the “Registration Statement”).

Concurrently with the submission of this letter, we are filing through EDGAR Amendment No. 3 to the Registration Statement (“Amendment No. 3”). For your convenience, we have also hand delivered five copies of this letter, as well as five copies of Amendment No. 3 marked to show all changes made since the second amendment to the Registration Statement.

For your convenience, our response is prefaced by the exact text of the Staff’s comment in bold, italicized text. All references to page numbers and captions correspond to Amendment No. 2 to the Registration Statement unless otherwise specified.

Summary Historical Financial Data, page 10

Selected Historical Financial Data, page 23

 

1. We note your presentation of EBITDA includes an adjustment for impairment of intangible assets. Measures referred to as EBITDA should not exclude items other than interest, taxes, depreciation and amortization. Please revise your presentation accordingly. Refer to Question 103.01 of the Compliance and Disclosure Interpretations for Non-GAAP Financial Measures. Please also revise your presentation of EBITDA in future Exchange Act filings.


Securities and Exchange Commission

May 13, 2016

Page 2

 

RESPONSE: We have revised the Registration Statement to exclude adjustments for impairment of intangible assets in our presentation of EBITDA. Please see pages 11 and 12 of Amendment No. 3. In future Exchange Act filings, we will also revise our presentation of EBITDA accordingly.

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Securities and Exchange Commission

May 13, 2016

Page 3

 

Please direct any questions that you have with respect to the foregoing or if any additional supplemental information is required by the Staff, please contact Gillian A. Hobson of Vinson & Elkins L.L.P. at (713) 758-3747.

 

Very truly yours,
MITCHAM INDUSTRIES INC.
By:  

/s/ Robert P. Capps

Name:   Robert P. Capps
Title:   Co-Chief Executive Officer and Chief Financial Officer

Enclosures

 

cc: Frank Pigott (Staff Attorney)
     Melinda Hooker (Staff Accountant)
     Dale Welcome (Staff Accountant)
     Gillian A. Hobson (Vinson & Elkins L.L.P.)