UNITED STATES
SECURITIES AND EXCHANGE COMMISSION
Washington, D.C. 20549
SCHEDULE 14A
PROXY STATEMENT PURSUANT TO SECTION 14(a) OF THE
SECURITIES EXCHANGE ACT OF 1934
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NATIONAL FUEL GAS COMPANY
6363 MAIN STREET
WILLIAMSVILLE, NEW YORK 14221
Supplemental Information Regarding
Proposal 3: Non-Binding Advisory Vote Approving Executive Compensation
February 24, 2012
Dear Stockholders of National Fuel Gas Company:
At National Fuel Gas Companys (the Company) Annual Meeting of Stockholders to be held on March 8, 2012, stockholders will cast a non-binding advisory vote to approve the compensation of the Companys executives (the say on pay vote). Proposal 3 in the Companys 2012 proxy statement includes relevant information regarding this matter. As noted in the proxy statement, the Company believes that its compensation policies and procedures encourage a culture of pay for performance and are strongly aligned with both the short and long-term interests of the Companys stockholders. The Companys Board of Directors has recommended that you vote FOR Proposal 3.
ISS Proxy Advisory Services (ISS) has recommended that its clients vote against Proposal 3 in light of what ISS claims is a pay for performance disconnect. The Company believes that there is a fundamental flaw in ISSs application of its methodology to the Company. The Company has raised its concerns with ISSs analysis in the attached letter, along with other important observations. We urge you to consider the letter and vote FOR Proposal 3.
Sincerely yours,
Paula M. Ciprich
General Counsel and Secretary
national Fuel
Paula M. Ciprich
General Counsel and Secretary
February 23, 2012
VIA E-MAIL
ISS Proxy Advisory Services
2099 Gaither Road
Rockville, MD 20850-4045
Attention: Kim Castellino and Paul Clark
Re: ISS Report dated February 17, 2012 for National Fuel Gas Company 2012 Annual Meeting scheduled for March 8, 2012
Dear Ms. Castellino and Mr. Clark:
National Fuel Gas Company (National Fuel or the Company) has reviewed both the ISS report of February 17 (Report) and the new methodology being used by ISS for the first time this year. National Fuel believes that there is a fundamental mistake in ISSs application of its new methodology as applied to the Company and summarized in the Report, which is misleading to our stockholders and to the market. We, therefore, respectfully request a dialogue with you regarding this matter.
Flaws in Application of ISS Methodology
The Pay for Performance Analysis at page 12 of the Report purports to set forth [e]ach years rankings for TSR and pay. However, it is not possible to reflect a ranking, based on proxy data, of National Fuels fiscal 2011 compensation compared to the fiscal 2011 compensation of the 13 companies selected by ISS as National Fuels peers. Specifically, only three of those companies (New Jersey Resources Corporation, Piedmont Natural Gas Company, Inc. and WGL Holdings, Inc.) have filed their proxy statements with respect to fiscal 2011 and AmeriGas Partners, L.P. has not filed a proxy statement since 2010 (which disclosed 2009 compensation).
As an example of the potential magnitude of this error, consider that the Reports analysis of National Fuels CEO total compensation reflects a decrease of 6.3% from 2010 to 2011, while the only three peer companies with available fiscal 2011 proxy statements reflect an average increase from 2010 of 28.5% (and a median increase of 26.3%) in the total compensation reported for their CEOs. By comparison, the Companys 1-Year TSR for 2011 was a negative 3.94%, reflecting events described below, while the three Report peer group companies who have reported 2011
National Fuel Gas Company / 6363 MAIN STREET / WILLIAMSVILLE, NY 14221-5887 / FACSIMILIE 716-857-7614
ISS Proxy Advisory Services
Page 2
February 23, 2012
compensation had 1-Year TSRs of positive 3.60%, 7.64% and 12.21%, respectively. It certainly appears that compensation followed the 1-Year TSR performance for the Company and the only peer group companies that have reported 2011 compensation. Yet the Report concludes that the Company has a pay for performance disconnect.
To state this observation in a slightly different fashion, for at least 77% of the ISS selected peer group, the Report compares 2010 compensation to 2011 performance, while comparing National Fuels 2011 compensation to its performance in fiscal 2011. We believe that the Reports mismatch of data is simply a mistake in the application of a very new methodology. However, if the apples to oranges comparison is intended, then the Report should clearly draw attention to that fact and explain it.
Our additional comments on the Report include the following:
Evaluation of National Fuel TSR based on utility peers only
We appreciate that, in order for ISS to evaluate large numbers of companies, there is a desire to have a methodology that is applied with some consistency. Yet, it is vital not to sacrifice accuracy to achieve simplicity.
The Reports use of only a Companys GICS classification to determine its peer group is misleading when applied to diversified companies like National Fuel. The methodology does not accurately capture the nature of an entity that operates in multiple lines of business that each have a significant contribution to its financial and share price performance. National Fuels current GICS classification is reflective of its historic origin as a Utility. That GICS classification does not reflect its transformation to a company with an oil and gas Exploration and Production (E&P) business segment, which generated nearly 50% of its 2011 net income. Omitting E&P peer companies from the Reports evaluation results in a distorted comparison of TSR that is not representative of how shareholders view the Company.
The Companys shareholders do not invest in National Fuel only, or even mostly, for its utility business - it is the Companys E&P business segment that for several years has been the primary subject of interest by institutional and other shareholders. It is also the E&P business segment that is largely responsible for the recent movement in the Companys stock price and, therefore, its 1-year TSR. A correct evaluation of National Fuels TSR would have used peers made up of both gas distribution (GICS: 551020) and oil and gas exploration and production (GICS: 101020) companies.
The following chart compares National Fuels TSR during fiscal 2011 with the TSR of the PHLX Utility Index and the SIG Oil Exploration and Production Index. National Fuels stock has been trading very much in line with the E&P index, and not at all in line with the utility index.
ISS Proxy Advisory Services
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February 23, 2012
Comparison of One-Year Cumulative Total Returns
Fiscal Year 2011
$200
$175
$150
$125
$100
$75
9/1/2010
10/1/2010
11/1/2010
12/1/2010
1/1/2011
2/1/2011
3/1/2011
4/1/2011
5/1/2011
6/1/2011
7/1/2011
8/1/2011
9/1/2011
9/30/2010
12/31/2010
3/31/2011
6/30/2011
9/30/2011
National Fuel $100 $127 $144 $143 $96
PHLX Utility Sector Index (UTY) $100 $101 $103 $110 $112
SIG Oil Exploration & Production Index (EPX) $100 $125 $147 $137 $95
National Fuel
PHLX Utility Sector Index (UTY)
SIG Oil Exploration & Production Index (EPX)
ISS Proxy Advisory Services
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February 23, 2012
The following chart compares National Fuels 3-Year TSR with the same two indices, indicating that over a 3-year period the Companys TSR compares very favorably to both indices.
Comparison of Three-Year Cumulative Total Returns
Fiscal Years 2009-2011
$200
$175
$150
$125
$100
$75
2008
2009
2010
2011
National Fuel $100 $113 $131 $126
PHLX Utility Sector Index (UTY) $100 $93 $104 $116
SIG Oil Exploration & Production Index (EPX) $100 $93 $101 $96
National Fuel
PBLX Utility Sector Index (UTY)
SIG Oil Exploration & Production Index (EPX)
Source: Bloomberg
ISS Proxy Advisory Services
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February 23, 2012
The Most Recent One-Year Period for National Fuel was Anomalous
ISSs methodology incorporating a significant weighting of the 1-year TSR can not take into account decisions of a company that might impact stock price in the short term, but be in the long-term interests of a company. That is in fact the case for National Fuel, where the considered decision of its board and management to forego a joint venture related to its Marcellus shale assets resulted in a stock price decline. Shareholders with a focus on a short term catalyst associated with the pursuit of this strategic transaction exited our stock and the share price dropped. The Companys decision to not move forward on a joint venture was driven by the potential negative impact of a joint venture on the long-term value of the Company. Additional decline of the Companys stock price occurred with the decline in the price of natural gas which impacts the revenues and earnings of all E&P businesses including ours. As stated above, the movement in stock price due to our E&P business supports the need to include other comparable E&P companies in the selected peer group.
Incentive Program Long-Term Cash
With respect to the comment on page 13 of the Report that there is no disclosure of targeted or actual achievement regarding the Companys long term cash plan, the Performance Incentive Plan, the Company directs your attention to a Company filing on Form 8-K made today regarding awards under that plan. The plan by design targets achievement based on performance relative to a peer group selected by, and reported in, an independent third party publication, Monthly Utility Reports of AUS, Inc. (AUS). To achieve the target incentive established (i.e. performance at the 100th percentile), the Company must outperform 60% of the peer group with respect to total return on capital as reported in AUS. Since performance is relative, there is no other target that can be disclosed. Actual achievement is reported each year on a Form 8-K following receipt of the required AUS report for the prior fiscal year. That information is not available until after the filing of the Companys proxy statement and so cannot be included. We respectfully request that you take note of this matter and adjust your report if at all possible or at the very least on a going forward basis.
Again, we appreciate the limits on the ability of anyone to provide recommendations on thousands of different companies. We understand that your reputation and influence depend on the integrity and accuracy of your reports, and ask that you seriously consider the matters raised in this letter. Please call me if you have any questions regarding this information and advise me when ISS might be available to discuss these issues.
Very truly yours,
NATIONAL FUEL GAS COMPANY
By:
Paula M. Ciprich