NAME OF REGISTRANT: Netflix, Inc.
NAME OF PERSON RELYING ON EXEMPTION: Boston Common Asset Management
ADDRESS OF PERSON RELYING ON EXEMPTION: 200 State St 7th Floor,
Boston, MA 02109
Written materials are submitted pursuant to Rule 14a-6(g)(1) promulgated
under the Securities Exchange Act of 1934. Submission is not required of this filer under the terms of the Rule; but is made voluntarily
in the interest of public disclosure and consideration of these important issues.
May 18, 2022
To Netflix, Inc. Stockholders:
Boston Common Asset Management seeks your support for Proposal 8
on the Company’s 2022 Proxy Statement. The proposal asks Netflix to prepare an annual report on its lobbying.
The proposal requests the preparation of a report, updated
annually, disclosing:
1.Company policy and procedures governing lobbying,
both direct and indirect, and grassroots lobbying communications.
2.Payments by Netflix used for (a) direct or indirect
lobbying or (b) grassroots lobbying communications, in each case including the amount of the payment and the recipient.
3.Netflix’s membership in and payments to
any tax-exempt organization that writes and endorses model legislation.
4. Description of management’s and the Board’s
decision-making process and oversight for making payments described in sections 2 and 3 above.
For purposes of this proposal, “grassroots
lobbying communication” is a communication directed to the general public that (a) refers to specific legislation or regulation,
(b) reflects a view on the legislation or regulation and (c) encourages the recipient of the communication to take action regarding the
legislation or regulation. “Indirect lobbying” is lobbying engaged in by a trade association or other organization of which
Netflix is a member.
Both “direct and indirect lobbying”
and “grassroots lobbying communications” include efforts at the local, state and federal levels.
The report shall be presented to the Audit Committee
and posted on Netflix’s website.
|
Rationale to vote FOR the Proposal
and Rebuttal to Company’s Opposition Statement
As investors we believe transparency and accountability in corporate
spending to influence legislation and regulation are in the best interests of Netflix stockholders. Our aim is not to keep the Company
from spending, but to ensure sufficient transparency for shareholders to be able to evaluate these significant costs, as well as to ensure
sufficient internal accountability to safeguard the alignment of spending with Company mission, values, and ethics. Without a clear system
ensuring accountability, corporate assets can be used to promote public policy objectives that are misaligned with company public positions
and principles and therefore can pose risks to Netflix’s reputation to the detriment of shareholder value.
SUMMARY OF RATIONALE
• Company reputation is an important component of shareholder
value;
• Indirect lobbying through trade associations and social
welfare groups presents potential risks and lacks accountability;
• Netflix’s Political Activity Disclosures report does not
fulfill the proposal’s requests for disclosure of payments by Netflix used for (a) direct or indirect lobbying or (b) grassroots
lobbying communications, including any membership in and payments to any tax-exempt organization that writes and endorses model legislation;
• Investors are asking for lobbying transparency to better understand
risks; and
• Netflix could easily provide shareholders the lobbying disclosures
requested in this proposal.
Company Reputation is an Important Component of Shareholder Value
Netflix’s failure to provide robust and complete disclosure of
its lobbying activities and expenditures may expose it to potential reputational damage and therefore potential negative impacts on shareholder
value. Heightened scrutiny of corporate spending on lobbying and other political expenditures potentially exposes companies to increased
reputational risk.
According to a Conference Board study, companies with a high reputation
rank perform better financially than lower ranked companies. Executives also find it is much harder to recover from a reputational failure
than to build and maintain reputation.1 The 2018 Reputation Dividend Report estimates that “corporate reputation is now
directly responsible for an average of 38% of market capitalisation across the FTSE 100 & 250.”2 Furthermore, the
Ipsos Global Reputation Centre research across 31 countries shows conclusive proof of the relationship between a good reputation and better
business efficiency.3
A 2014 Deloitte survey also found 87 percent of executives rated reputation
risk as more important or much more important than other strategic risks their companies are facing, and 88 percent said their companies
are explicitly focusing on managing reputation risk.4 Clearly, corporate reputation has significant impact on shareholder value.
_____________________________
1 “Reputation Risk,” The Conference Board, 2007,
p. 6, https://papers.ssrn.com/sol3/papers.cfm?abstract_id=1077894.
2 https://www.provokemedia.com/research/article/link-between-corporate-reputation-market-value-strengthens-study
3 https://www.ipsos.com/sites/default/files/ct/publication/documents/2018-05/unlocking_value_of_reputation-may_2018.pdf.
4 “2014 Global Survey on Reputation Risk,” Deloitte,
p. 4, https://www2.deloitte.com/content/dam/Deloitte/pl/Documents/Reports/pl_Reputation_Risk_survey_EN.pdf.
Indirect Lobbying through Trade Associations and Social Welfare Groups Presents Potential Risks and Lack Accountability |
While corporate donations to politicians and traditional PACs have
strict limits, payments to trade associations and 501(c)(4) social welfare nonprofits have no restrictions.
Netflix can give unlimited amounts to third party groups that can spend
millions on lobbying and often undisclosed grassroots activity. This is often referred to as dark money spending. Lack of company transparency
and oversight around dark money spending through trade associations and other organizations not only creates a blind spot in use of funds
for shareholders, but for the corporations themselves.
Corporations make payments to trade associations that are used to lobby
indirectly on their behalf without specific disclosure or accountability. Trade associations spend hundreds of millions to lobby.
Recently companies have faced significant corporate reputational risk
due to misalignment of company practices, including lobbying expenditures, with stated company values and positions. Without robust lobbying
oversight and transparency, the company, and its shareholders, have no way to determine if company direct and indirect lobbying aligns
with company values.
Netflix’s Current Disclosures are Inadequate
Netflix does not provide investors a central and comprehensive source
where they can learn all relevant corporate spending on direct or indirect lobbying activities/relationships, priorities, and how those
efforts are supportive of or align with the Company’s strategy and investor interests. Instead, the Company provides partial disclosure
and labels it as “appropriate.”
Instance on trade association spending, the Company merely notes in
its disclosure report that it “belongs to a number of U.S. trade associations for various business-related reasons” and that
even though it pays membership dues “we do not control how such dues are spent, and we may not even agree with the position or decision
an organization takes on a given matter.” It then provides a “representative list” of national, US-based trade association
memberships to which the company has paid membership dues in 2021 including the Business Roundtable and the Motion Picture Association.
This disclosure is not sufficient for investors to assess the related
risks, and the adequacy of the Company’s management of those risks. As noted in the proposal:
Netflix belongs to the Business Roundtable and Motion
Picture Association of America, which together spent $20,260,000 on federal lobbying for 2020.
We are concerned Netflix’s lack of disclosure presents
reputational risks when its lobbying contradicts company public positions. For example, Netflix has drawn attention for supporting voting
rights, yet opposing investor proposals for political spending disclosure. And while Netflix has attracted scrutiny for avoiding federal
income taxes, the Business Roundtable has been lobbying against raising corporate taxes to fund health care, education and safety
net programs. [Emphasis added]
Federal and State Lobbying
Based upon information from the Open Secrets database, our Company
spent approximately $690,000 on federal lobbying in 2021.5
The proposal also notes:
Netflix spent $8,805,000 from 2012 – 2020 on federal
lobbying. This does not include state lobbying expenditures, where Netflix also lobbies but disclosure is uneven or absent. For example,
Netflix spent $406,250 on lobbying in California from 2019 – 2020. Netflix lobbies abroad, spending between €700,000 –
799,999 on lobbying in Europe for 2020. According to press reports, Netflix has “focused more of its public policy strategy internationally,
where most of its growth lies and where it faces tenacious regulators.”
The extent of Netflix’s disclosure of spending at the state level
is highly uneven because state-level lobbying disclosure requirements are often very cursory, investors have no idea how much companies
are spending in 22 states and have only a murky picture in others.
Obtaining comprehensive state lobbying information is described by
an expert as “nearly impossible” given “the ‘Byzantine’ manner in which the data is captured and made available
online effectively buries information at many states.”6
-------------------------
5 https://www.opensecrets.org/federal-lobbying/clients/summary?cycle=2021&id=D000036161
6 “Wal-Mart Improves Lobbying
Disclosure after Shareowner Push,” Reuters, May 13, 2015, https://www.reuters.com/article/us-wal-mart-stores-disclosure-lobbying-e/exclusive-wal-mart-improves-lobbying-disclosure-after-shareowner-push-idUSKBN0NY0AH20150513.
Lobbying Through Trade Associations
While Netflix has disclosed “representative list” of trade
associations it belongs to and notes that it lacks control over the agendas of those organizations. Investors have no idea the total amount
Netflix has given to each trade association through memberships and other payments, nor the amount used for lobbying by each trade association.
Netflix fails to fully disclose its memberships and payments to trade
associations, meaning investors have neither an accurate picture of the company’s total lobbying expenditures nor an understanding
of its priorities or interests.
Trade Association Lobbying Misalignments Create Reputational Risk
We believe Netflix’s trade association memberships and payments
used for lobbying pose potential reputational risks and risks to long-term sustainable growth when the lobbying of its trade associations
contradicts Netflix’s public positions.
Any misalignment of Netflix’s stated company values and positions
with their lobbying activities, either directly or indirectly through third-party groups, creates significant reputational risk around
company integrity as well as investor concerns around lack of corporate governance and oversight of lobbying.
Other Companies Are Reporting Significant Lobbying
and Public Policy Issues
Companies have begun producing reports which assess
the alignment between company positions, including on climate change, and the positions and lobbying of their key trade associations.
Examples of companies producing reports include BP, Pfizer, GM, Bayer and Shell.
Investors Are Asking for Lobbying Transparency to Better Understand
Risks
The International Corporate Governance Network (ICGN) representing more
than $18 trillion in assets, supports lobbying disclosure and political disclosure as best practice, and supports disclosure of any amounts
over $10,000.7 On January 27, 2022, the Principles for Responsible Investment (PRI) released a new report, the Investor Case
of Responsible Political Engagement, noting investors need to understand the intended objectives, processes and outcomes of companies’
political engagement to determine the extent to which they align with their long-term interests and shared societal needs.8
PRI has also released a 2018 guide on corporate climate lobbying to help investors engage with companies on their direct and indirect
lobbying practices related to climate policy. Specifically, companies should be consistent in their policy engagement in all geographic
regions and should ensure any engagement conducted by member trade associations on their behalf or with their support is aligned with
a company positions.9
_____________________________
7 https://www.icgn.org/sites/default/files/ICGN%20Political%20Lobbying%20%26%20Donations%202017.pdf
8 https://www.unpri.org/governance-issues/the-investor-case-for-responsible-political-engagement/9366.article.
9 https://www.unpri.org/Uploads/g/v/q/PRI_Converging_on_climate_lobbying.pdf
In October 2018, a $2 trillion coalition of investors led by the Church
of England pension board and Swedish pension fund AP7, sent letters to 55 large European companies, stating that lobbying on climate issues
should be evaluated, managed and reported on transparently and noting it was unacceptable that companies counteract ambitious climate
policy, either directly or through their trade associations.10 The OECD’s Principles for Transparency and Integrity in
Lobbying find that a sound framework for transparency in lobbying is crucial to safeguard the integrity of the public decision-making
process.11
Lobbying Transparency: What Gets Disclosed Gets Managed.
Clear policies and board oversight – coupled with disclosures
to shareholders, helps mitigate risks and provide greater transparency and accountability allowing investors to assess potential risks
and whether sufficient safeguards are in place to protect our Company’s interests as well as the interest of shareholders.
_____________________________
10 “Pension Funds Challenge Major European Emitters
on Climate Lobbying,” Church of England, October 29, 2018, https://www.churchofengland.org/more/media-centre/news/pension-funds-challenge-major-european-emitters-climate-lobbying.
11 http://www.oecd.org/gov/ethics/oecdprinciplesfortransparencyandintegrityinlobbying.htm
Response to Board's Opposition Statement
In the Board of Director’s Recommendation Against and Statement
of Opposition Netflix states
The Board believes that the report requested by the Proposal
would be largely duplicative of Netflix’s existing report and is not an effective use of Netflix’s resources…
We believe our report, combined with the wide range
of additional public disclosure, provides appropriate information to stockholders and other stakeholders
As noted above, there is inadequate disclosure by the Company
of the amount of support given to trade associations, which could, for instance go above and beyond dues payments, as well as be allocated
in significant quantities to indirect lobbying or grass roots lobbying communication. The Company’s opposition statement might be
construed to imply that such payments cannot be transparent:
By comparison, the proponent requests additional disclosure
regarding payments used for indirect lobbying or grassroots lobbying communication, but the Company may not have visibility or control
over such other organizations’ activities. Furthermore, although trade associations that the Company is a member of may engage in
lobbying activities, Netflix is a member of trade associations for a variety of reasons not related to lobbying, including for information
gathering and professional development and does not control trade association decision-making.
Although the company may not control the lobbying activities
of trade associations, its reputation with the public and even with investors as a member and funder of those trade associations may nevertheless
be impacted, especially when those trade associations engage in substantial lobbying activities that directly contradict the company’s
purported values. Although the board asserts that it would “be misleading to stockholders to attribute all of such organizations’
activities to the Company,” recent history shows that the public may well do so.
The Company’s disclosures are incomplete and inadequate
to ensure reasonable risk evaluation by investors of the issues entailed in the company’s support for trade associations and other
grassroots lobbying organizations, especially such lobbying at the state level or in markets outside the US.
The well-documented reputational risks of Netflix’s lobbying
and its inadequate lobbying disclosure policies highlight the critical need for the Company to improve its lobbying disclosures and increase
transparency around its lobbying policies, procedures and spending details.
Based on the above Rationale, we believe that Netflix’s current
lobbying disclosures are inadequate to protect shareholder interests. We urge you to vote FOR Proposal 8, the stockholder proposal
requesting a report on the Company’s lobbying expenditures.
Sincerely,
Lauren Compere
Boston Common Asset Management
This is not a solicitation of authority to vote your proxy. Please
DO NOT send us your proxy card; Boston Common Asset Management is not able to vote your proxies, nor does this communication contemplate
such an event. Boston Common Asset Management urges stockholders to vote for Proposal 8 following the instructions provided on the Company’s
proxy mailing.
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