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United States securities and exchange commission logo





                              May 29, 2024

       Theodore R. Stalick
       Senior Vice President and Chief Financial Officer
       Mercury General Corporation
       4884 Wilshire Boulevard
       Los Angeles, California 90010

                                                        Re: Mercury General
Corporation
                                                            Form 10-K for the
Fiscal Year Ended December 31, 2023
                                                            File No. 001-12257

       Dear Theodore R. Stalick:

              We have limited our review of your filing to the financial
statements and related
       disclosures and have the following comments.

              Please respond to this letter within ten business days by
providing the requested
       information or advise us as soon as possible when you will respond. If
you do not believe a
       comment applies to your facts and circumstances, please tell us why in
your response.

                                                        After reviewing your
response to this letter, we may have additional comments.

       Form 10-K for the fiscal year ended December 31, 2023

       Notes to Consolidated Financial Statements
       Note 12. Loss and Loss Adjustment Expense Reserves, page 85

   1.                                                   Please address the
following regarding your automobile insurance loss development and
                                                        payment tables:
                                                            Tell us whether
these tables include both your personal and commercial automobile
                                                            lines and represent
to us that you will revise your disclosure in future filings to
                                                            clarify. Otherwise,
tell us where you make this disclosure in your filing.
                                                            Tell us your
consideration for disaggregating bodily injury from material damage
                                                            coverage in your
tables. In this regard, we note that the majority of your 2023 direct
                                                            written premium is
private passenger automobile lines and we further note your
                                                            disclosure in the
last paragraph on page 65 that time can be a critical part of reserving
                                                            determinations
since the longer the span between the loss event and the settlement of
                                                            the claim, the more
variable the ultimate settlement amount could be and that short-
                                                            tail claims, such
as property damage claims, tend to be more reasonably predictable
                                                            than long-tail
claims, such as those involving bodily injury coverages. In addition, we
 Theodore R. Stalick
FirstName  LastNameTheodore
Mercury General  Corporation R. Stalick
Comapany
May        NameMercury General Corporation
     29, 2024
May 29,
Page 2 2024 Page 2
FirstName LastName
              note the requirement in ASC 944-40-50-4H to not aggregate items
that have
              significantly different characteristics. In your response,
provide us the information
              that would be provided in separate tables for automobile bodily
injury coverage and
              automobile material damages coverage, if available. If not
available, tell us why it is
              not available given your ability to identify the percentage of
total reserves attributed
              to bodily injury versus material damages coverages as disclosed
on page 37.
2.       We note that in addition to your automobile insurance loss development
and
         payment tables you provide separate tables for your homeowners
insurance line. Please
         tell us why you do not provide tables for any of your other insurance
lines and reference
         for us the authoritative literature you rely upon to support your
position. In this regard, we
         note that your tables present:
             About $59.1 million in favorable development ($34.5 million for
automobile and
              $24.6 million for homeowners) in 2023 while your reserve
rollforward on page 85
              depicts consolidated favorable development of only $35.9 million.
Although you
              disclose on page 85 that you experienced private passenger
automobile and
              homeowner lines losses partially offset by unfavorable
development in the
              commercial property line, the aggregate $23.2 million unfavorable
difference
              between the total presented in the tables and the reserve
rollforward appears
              significant to the overall $175.4 million net reserve at January
1, 2023 for all other
              short-duration lines and on the surface does not appear
insignificant to an
              understanding of your business as contemplated in ASC
944-40-50-4H.
             About $81.8 million in unfavorable development ($80.3 million for
automobile and
              $1.5 million for homeowners) in 2022 while your reserve
rollforward on page 85
              depicts consolidated unfavorable development of only $47.3
million. Although you
              disclose on page 85 that the $47.3 million unfavorable
development primarily relates
              to the automobile line, the aggregate $34.5 million favorable
difference between the
              total presented in the tables and the reserve rollforward appears
significant to the
              overall $148.4 million net reserve at January 1, 2022 for all
other short-duration lines
              and on the surface does not appear insignificant to an
understanding of your business
              as contemplated in ASC 944-40-50-4H. In addition, tell us your
consideration for
              separately disclosing the existence and cause of the apparent
$34.5 million in
              favorable development, and tell us the breakout of the $47.3
million of unfavorable
              development between the private passenger and commercial
automobile
              components.

       In closing, we remind you that the company and its management are
responsible for the
accuracy and adequacy of their disclosures, notwithstanding any review,
comments, action or
absence of action by the staff.
 Theodore R. Stalick
Mercury General Corporation
May 29, 2024
Page 3

       Please contact Mark Brunhofer at 202-551-3638 or Bonnie Baynes at
202-551-4924 with
any questions.



FirstName LastNameTheodore R. Stalick                   Sincerely,
Comapany NameMercury General Corporation
                                                        Division of Corporation
Finance
May 29, 2024 Page 3                                     Office of Crypto Assets
FirstName LastName
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