Unit 2901, 29F, Tower C Beijing Yintai Centre No. 2 Jianguomenwai Avenue Chaoyang District, Beijing 100022 Peoples Republic of China Phone: 86-10-6529-8300 Fax: 86-10-6529-8399 Website: www.wsgr.com |
中国北京市朝阳区建国门外大街 2号 银泰中心写字楼C座29层2901室 邮政编码: 100022 电话: 86-10-6529-8300 传真: 86-10-6529-8399 网站: www.wsgr.com |
Via EDGAR
August 12, 2022
Ms. Erin Donahue
Mr. Geoffrey Kruczek
Division of Corporation Finance
Office of Manufacturing
U.S. Securities and Exchange Commission
100 F Street, NE
Washington, D.C. 20549
Re: | Nano Labs Ltd (CIK No. 0001872302) |
Response to the Staffs Comments on
Draft Registration Statement on
Form F-1 Confidentially Submitted on July 25, 2022
Dear Ms. Donahue and Mr. Kruczek,
On behalf of our client, Nano Labs Ltd, a foreign private issuer incorporated under the laws of the Cayman Islands (the Company), we are hereby submitting to the staff (the Staff) of the Securities and Exchange Commission (the Commission) this letter setting forth the Companys responses to the comments contained in the Staffs letter dated August 4, 2022 on the Companys draft registration statement on Form F-1 confidentially submitted on July 25, 2022 (the Draft Registration Statement). Concurrently with the submission of this letter, the Company is filing its registration statement on Form F-1 (the Registration Statement) and certain exhibits via EDGAR to the Commission.
The Staffs comments are repeated below in bold and are followed by the Companys responses. We have included page references in the Registration Statement where the language addressing a particular comment appears. Capitalized terms used but not otherwise defined herein have the meanings set forth in the Registration Statement.
Responses to the comments contained in the Staffs letter dated August 4, 2022
Prospectus Cover Page, page i
1. | Please provide prominent disclosure on the cover page to state that the purpose of this offering is to be of a supplemental nature to raise additional funds to meet NASDAQ Listing Rule 5210(k)(i), disclosure quantifying the shortfall from $25 million, and whether this offering would be sufficient to rectify the NASDAQ rule. |
In response to the Staffs comment, the Company has revised the disclosure on the prospectus cover page of the Registration Statement.
2. | Please provide updated disclosure on the prospectus cover page and risk factors regarding the companys failure to satisfy NASDAQ Listing Rule 5210(k)(i), NASDAQs pending determination to delist your ADSs from the Nasdaq Global Market, and the current status of that proceeding. |
In response to the Staffs comment, the Company has revised the disclosure on the prospectus cover page and page 59 of the Registration Statement.
Wilson Sonsini Goodrich & Rosati, Professional Corporation
威尔逊· 桑西尼·古奇·罗沙迪律师事务所
AUSTIN BEIJING BOSTON BRUSSELS HONG KONG LONDON LOS ANGELES NEW YORK PALO ALTO
SAN DIEGO SAN FRANCISCO SEATTLE SHANGHAI WASHINGTON, DC WILMINGTON, DE
Page 2
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If you have any questions regarding the Registration Statement, please contact the undersigned by telephone at 86-10-6529-8308 or via e-mail at douyang@wsgr.com. Questions pertaining to auditing matters may be directed to the audit engagement partner at MaloneBailey, LLP, Danyang Bian, by telephone at 86-10-8556-3995, or by email at dbian@malone-bailey.com. MaloneBailey, LLP is the independent registered public accounting firm of the Company.
Very truly yours, |
/s/ Dan Ouyang |
Dan Ouyang |
Enclosures
cc: | Jianping Kong, Chairman and Chief Executive Officer, Nano Labs Ltd |
Bing Chen, Chief Financial Officer, Nano Labs Ltd
Danyang Bian, Partner, MaloneBailey, LLP
Stephanie Tang, Partner, Hogan Lovells