Studying Worldwide, Inc. (NASDAQ:RDI) Q3 2024 Earnings Convention Name November 18, 2024 9:00 AM ET
Firm Members
Andrzej Matyczynski – Government Vice President, World Operations
Ellen Cotter – President & Chief Government Officer
Gilbert Avanes – Government Vice President, Chief Monetary Officer, and Treasurer
Convention Name Members
Andrzej Matyczynski
Thanks for becoming a member of Studying Worldwide’s earnings name to debate our 2024 Third Quarter Outcomes. My identify is Andrzej Matyczynski and I’m Studying’s Government Vice President of World Operations. With me as regular are Ellen Cotter, our President and Chief Government Officer; and Gilbert Avanes, our Government Vice President, Chief Monetary Officer and Treasurer.
Earlier than we start the substance of the decision, I’ll run via the same old caveats. In accordance with the Protected Harbour provision of the Personal Securities Litigation Reform Act of 1995, sure issues that will likely be addressed on this earnings name could represent forward-looking statements. Such statements are topic to dangers, uncertainties and different elements that will trigger our precise efficiency to be materially completely different from the efficiency indicated or implied by such statements. Such threat elements are clearly set out in our SEC filings and we undertake no obligation to publicly replace or revise any forward-looking statements.
As well as, we are going to focus on non-GAAP monetary measures on this name. Reconciliations and definitions of non-GAAP monetary measures, that are phase working revenue, EBITDA and adjusted EBITDA are included in our not too long ago issued 2024 third quarter earnings launch on our firm’s web site. We now have adjusted the place relevant the EBITDA gadgets we imagine to be exterior to our enterprise usually are not reflective of our prices of doing enterprise or outcomes of operations. Such prices may embody authorized bills referring to extra-ordinary litigation and every other gadgets that we are able to take into account to be non-recurring in accordance with a two-year SEC requirement for figuring out whether or not an merchandise