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                               April 6, 2021

       Jeffrey Chugg
       Vice President, Legal
       TaskUs, Inc.
       1650 Independence Drive, Suite 100
       New Braunfels, TX 78132

                                                        Re: TaskUs, Inc.
                                                            Amendment No. 3 to
Draft Registration Statement on Form S-1
                                                            Submitted March 23,
2021
                                                            CIK No. 0001829864

       Dear Mr. Chugg:

             We have reviewed your amended draft registration statement and
have the following
       comments. In some of our comments, we may ask you to provide us with
information so we
       may better understand your disclosure.

              Please respond to this letter by providing the requested
information and either submitting
       an amended draft registration statement or publicly filing your
registration statement on
       EDGAR. If you do not believe our comments apply to your facts and
circumstances or do not
       believe an amendment is appropriate, please tell us why in your
response.

             After reviewing the information you provide in response to these
comments and your
       amended draft registration statement or filed registration statement, we
may have additional
       comments.

       Form S-1 DRS/A Submitted March 23, 2021

       Summary Historical Consolidated Financial and Other Data, page 20

   1.                                                   With respect to
Adjusted EBITDA margin and Adjusted net income margin, disclose the
                                                        respective comparable
ratios calculated using GAAP amounts. Refer to Items
                                                        10(e)1(i)(A) and (B) of
Regulation S-K and footnote 27 of non-GAAP adopting Release
                                                        No. 33-8176. Please
revise disclosure on pages 80-84 and 96-101 accordingly.
   2.                                                   We note that you have
included incentive and leave pay granted to employees that are
                                                        directly attributable
to the COVID-19 pandemic and you also included payments that will
                                                        be due to sellers in
the Blackstone Acquisition for certain tax benefits realized as a result
                                                        of the Blackstock
Acquisition. Please expand the disclosure to clarify whether the
                                                        adjustments are
incremental to normal operations, how the adjustments are directly
 Jeffrey Chugg
FirstName   LastNameJeffrey Chugg
TaskUs, Inc.
Comapany
April       NameTaskUs, Inc.
       6, 2021
April 26, 2021 Page 2
Page
FirstName LastName
         attributable to COVID-19 and whether the adjustments are based on
actual or hypothetical
         amounts. Refer to CF Disclosure Guidance Topic 9 for guidance. Please
also expand the
         disclosure on pages 82, 84 and 99-101 accordingly.
Dilution, page 78

3.       Clarify that there is a net tangible deficit.
Management's Discussion and Analysis of Financial Condition and Results of
Operations
Trends and Factors Affecting Our Performance
New Client Wins, page 87

4.       Please explain why you no longer provide your metric Annual Contract
Value (   ACV   ) in
         your prospectus. You previously disclosed that ACV was a leading
indicator of revenue
         opportunity in existing and new clients. In your explanation, please
clarify if there were
         material changes in ACV in fiscal year 2020 from the fiscal year 2019.
Further, please
         clarify whether your win rate metric is consistent with your ACV
year-to-year changes.
5.       On page iii, we note that you changed the definition of New Client Win
to remove the
         reference that it may include new business generated from new unit or
division of an
         existing client. Please explain the change in the definition and
clarify whether your New
         Client Win metric no longer includes business from new divisions or
units of existing
         clients.
Hiring and Retention of Employees, page 88

6.       We note that you disclose your voluntary attrition rate for employees
employed for more
         than 180 days for 2020. Please consider including the rate for 2019
for comparability or
         tell us why you believe such disclosure is not required.
Key Operating Metrics, page 96

7.       We note that your Net Revenue Retention Rate declined from 139% in
2019 to 117% in
         2020, which you attribute to    reduction in volumes in certain
clients who experienced a
         decline in their end customer volumes because of lockdown restrictions
globally.    Please
         discuss whether this is a known material trend or uncertainty that
will have, or is
         reasonably likely to have, a material impact on your revenues in any
material way. To the
         extent material, provide more details of these clients and clarify and
quantify how much of
         the decline is attributable to specific clients or client verticals.
Financial Statements
Note (2) Summary of Significant Accounting Policies
(j) Revenue Recognition, page F-10

8.       We note on page 49 that your contracts with customers include
obligations to satisfy
         certain performance indicators, such as average handle time, job
count, productivity, total
 Jeffrey Chugg
TaskUs, Inc.
April 6, 2021
Page 3
         review time and accuracy and that if you fail to meet such performance
indicators, you
         could be obligated to reduce your clients' payment under such
contracts. Please expand
         your revenue recognition accounting policy to explain how these
contract terms impact
         your determination of performance obligations and amount and timing of
revenue
         recognition.
(l) Property and Equipment, page F-11

9.       We note that you extended the useful lives of leasehold improvements
in 2020. In light of
         your recent lease terminations, please expand the disclosure to
explain the basis for your
         belief that the useful lives should be extended. Also, in light of
your disclosure that the
         shorter lives are based in part on your historical use of the asset
and normal
         practice, supplementally provide us with your analysis as to why this
change is a change
         in estimate rather than a correction of an error.
Note (10) Income Taxes, page F-25

10.      We note on pages 57 and 137 that under the PEZA registrations,
favorable tax treatment
         for some of your PEZA-registered sites expired at the end of 2020 but
may be renewed for
         subsequent periods provided you meet certain criteria. Please expand
the disclosure to
         detail these expirations and clarify whether you continue to meet
criteria subsequent to
         year end. If material, disclose the amount of the favorable tax
treatment that may not
         meet the certain criteria subsequent to year end.
Note (14) Subsequent Events, page F-28

11.    We note on page 1 that references to "common stock" includes your Class
A common
       stock, Class B common stock and Class C common stock. We also note on
page 166 that
       Class B will have 10 votes and Class B shareholders will control the
registrant following
       the IPO. Please include detailed disclosure of the capital structure
change as a subsequent
       event that occurs prior to effectiveness. Please include in your
disclosure the terms of the
       new classes on common stock and whether all shareholders prior to the
capital structure
FirstName LastNameJeffrey Chugg
       change participated equally in the issuance of Class B common stock. If
not, disclose
Comapany
       yourNameTaskUs,       Inc.
             accounting methodology      for the change in capital structure
regarding any preferential
April 6,treatment of 3certain investors (i.e. special stock dividends).
          2021 Page
FirstName LastName
 Jeffrey Chugg
FirstName   LastNameJeffrey Chugg
TaskUs, Inc.
Comapany
April       NameTaskUs, Inc.
       6, 2021
April 46, 2021 Page 4
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FirstName LastName
       You may contact Claire DeLabar, Staff Accountant, at (202) 551-3349 or
Robert Littlepage, Accounting Branch Chief, at (202) 551-3361 if you have
questions
regarding comments on the financial statements and related matters. Please
contact Edwin Kim,
Staff Attorney, at (202) 551- 3297 or Jan Woo, Legal Branch Chief, at (202)
551-3453 with any
other questions.



                                                          Sincerely,

                                                          Division of
Corporation Finance
                                                          Office of Technology
cc:      Edgar J. Lewandowski, Esq.