Notice of Exempt Solicitation. Definitive Material. (px14a6g)
March 29 2019 - 11:14AM
Edgar (US Regulatory)
PROXY MEMORANDUM
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Subject:
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Shareholder resolution on extent to which risks related to public concern over drug pricing are
integrated into incentive compensation policies for senior executives
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Contact:
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Katie McCloskey, Director Social Responsibility, United Church Funds,
katie.mccloskey@ucfunds.org
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At the upcoming AbbVie Inc. (“AbbVie”
or “the “Company”) annual shareholders’ meeting on May 3, 2019, shareholders will have the opportunity
to vote on a Proposal (the “Proposal”) sponsored by multiple shareholders
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asking AbbVie to disclose
how it considers risks stemming from public concern over high drug prices in setting incentive pay arrangements for senior executives.
We urge you to vote FOR proposal #6 as described below.
RESOLVED
, that shareholders
of AbbVie Inc. (“AbbVie”) urge the Compensation Committee (the “Committee”) to report annually to shareholders
on the extent to which risks related to public concern over drug pricing strategies are integrated into AbbVie’s incentive
compensation policies, plans and programs (together, “arrangements”) for senior executives. The report should include,
but need not be limited to, discussion of whether (i) incentive compensation arrangements reward, or not penalize, senior executives
for adopting pricing strategies, or making and honoring commitments about pricing, that incorporate public concern regarding the
level or rate of increase in prescription drug prices; and (ii) such concern is considered when setting financial targets for incentive
compensation arrangements.
The Proponents
submitted the Proposal to AbbVie because we believe shareholders would benefit from a fuller understanding of whether senior executive
incentive compensation arrangements reward price increases – or discourage policies of price restraint – both of which
can boost short-term performance, even though long-term success could depend on pricing moderation. In our view, repeated price
increases like those implemented by AbbVie are likely to lead to backlash from payers, policy makers and the public.
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United Church Funds, and co-filers, including
Bon Secours Mercy Health, Sisters of Charity of Saint Elizabeth, Sisters of Providence, Mother Joseph Province, and Trinity Health.
We believe that incentive compensation
programs should not just encourage executives to achieve financial objectives, but also to manage key business risks effectively.
AbbVie - in its 2019 proxy statement states that a well-designed compensation program should align executive interests with the
drivers of stockholder returns and profitable growth, support achievement of the company’s primary business goals to have
a remarkable impact on patients’ lives and attract and retain world-class executives whose talents and contributions sustain
the growth in long-term stockholder value.
Reactions of the public, health care payers,
policymakers and prescribers to high drug prices pose a serious challenge, in our view, to sustainable value creation by pharmaceutical
companies. High drug prices may create several kinds of risk:
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They may damage corporate reputation,
as when, in March 2019, a Senate Finance Committee panel heavily focused on the compensation measures of AbbVie CEO Richard Gonzalez.
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According to Gallup, the pharmaceutical industry’s favorability rating stands at 33 percent, lower than the 23 other industries
included in the poll.
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Poor reputation can make it more difficult to recruit and retain talented employees.
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Legislative and regulatory risk is apparent
not only in the President’s blueprint. At least 30 pieces of legislation addressing prescription drug prices have been introduced
in the 116th Congress, and various Congressional committees have held high-profile hearings.
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In 2018, at least
24 states passed legislation to curb rising drug costs.
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Some companies have responded
to public concerns about prices by committing to not raising prices by more than a certain amount per year. We are concerned that
AbbVie’s incentive pay arrangements, which include Humira sales to determine payouts, may overlook the pricing pressure risks
the company faces and not take into account these risks in compensation arrangements.
In our view, rewarding
executives for boosting revenue can create additional risks when that revenue is generated primarily or solely through price increases.
In 2017, holders of approximately 80 percent of Mylan shares voted against management’s “say on pay” proposal,
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following a “vote no” campaign by institutional investors that cited high pay “amid a public and regulatory backlash”
related to EpiPen pricing.
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AbbVie’s existing disclosures do
not mention drug pricing-related risks, but rather describe compensation arrangements as required by SEC rules. We believe that
the information sought by the Proposal would give shareholders valuable insight about how AbbVie’s executive pay practices
balance financial goals and management of pricing-related risks.
We therefore urge shareholders to vote FOR proposal #6.
2
https://www.cnbc.com/2019/02/26/senate-panel-grills-abbvie-ceo-over-bonuses-tied-to-sales-of-humira.html
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news.gallup.com/poll/12748/business-industry-sector-ratings.aspx
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http://www.mandrake.ca/bill/images/corporate_responsibility_white_paper.pdf
(summarizing evidence that perceptions regarding corporate social responsibility drive higher levels of employee engagement and
retention);
see also
https://business.missouri.edu/sites/default/files/publication/turban_greening_1997_amj.pdf
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https://www.govtrack.us/congress/bills/subjects/prescription_drugs/6184?congress=99#congress=116&text=prescription&terms2=__ALL__
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https://www.nytimes.com/2019/02/26/us/politics/prescription-drug-prices.html?module=inline
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https://www.nytimes.com/2018/08/18/us/politics/states-drug-costs.html
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www.sec.gov/Archives/edgar/data/1623613/000119312517216777/d412323d8k.htm
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www.sec.gov/Archives/edgar/data/1517047/000121465917003708/d530170px14a6g.htm
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