SecProbe.io

Filing text and metadata
Intelligence Terminal Search Topics Monthly Activity About

SEC Comment Letter 0000000000-24-010863 to MGT CAPITAL INVESTMENTS, INC. (MGTI) (CIK 0001001601) (MGTI)

MGT CAPITAL INVESTMENTS, INC. (MGTI) (CIK 0001001601)
Date: Sept. 24, 2024 · CIK: 0001001601 · Accession: 0000000000-24-010863

AI Filing Summary & Sentiment

Date
September 24, 2024
Author
Not clearly detected
Form
UPLOAD
Company
MGT CAPITAL INVESTMENTS, INC. (MGTI) (CIK 0001001601)

Letter

September 24, 2024 Elias Fernandez Sanchez President Minerset Farms Inc. 102 NE 103rd Street Miami, FL 33138 Re:Minerset Farms Inc. MGT Capital Investments, Inc. Schedule 13D Filed by Minerset Farms Inc. et al. Filed May 30, 2024 File No. 005-57417 Dear Elias Fernandez Sanchez: We have conducted a limited review of the above-captioned filing and have the following comment. Please respond to this letter by amending the filing or by providing the requested information. If you do not believe our comment applies to your facts and circumstances or that an amendment is appropriate, please advise us why in a response letter. After reviewing any amendment to the filing and any information provided in response to this comment, we may have additional comments. Schedule 13D Filed May 30, 2024 General 1.We note that the cover page of the Schedule 13D does not include the date of the event requiring the filing of the Schedule 13D. Please revise to disclose the date of the event that required the filing of this Schedule 13D. Rule 13d-1(a) of Regulation 13D-G requires the filing of a Schedule 13D within five business days after the date beneficial ownership of more than five percent of a class of equity securities specified in Rule 13d-1(i)(1) was acquired. If the Schedule 13D was not filed within the required five business days after the date of the acquisition, please advise us why the Schedule 13D was not timely filed.

September 24, 2024 Page 2 We remind you that the filing persons are responsible for the accuracy and adequacy of their disclosures, notwithstanding any review, comments, action or absence of action by the staff. Please direct any questions to Shane Callaghan at 202-551-6977 or Nicholas Panos at 202-551-3266. Sincerely, Division of Corporation Finance Office of Mergers & Acquisitions

Show Raw Text
September 24, 2024
Elias Fernandez Sanchez
President
Minerset Farms Inc.
102 NE 103rd Street
Miami, FL 33138
Re:Minerset Farms Inc.
MGT Capital Investments, Inc.
Schedule 13D Filed by Minerset Farms Inc. et al.
Filed May 30, 2024
File No. 005-57417
Dear Elias Fernandez Sanchez:
            We have conducted a limited review of the above-captioned filing and have the following
comment.
            Please respond to this letter by amending the filing or by providing the requested
information. If you do not believe our comment applies to your facts and circumstances or that an
amendment is appropriate, please advise us why in a response letter.
            After reviewing any amendment to the filing and any information provided in response to
this comment, we may have additional comments.
Schedule 13D Filed May 30, 2024
General
1.We note that the cover page of the Schedule 13D does not include the date of the event
requiring the filing of the Schedule 13D. Please revise to disclose the date of the event
that required the filing of this Schedule 13D. Rule 13d-1(a) of Regulation 13D-G requires
the filing of a Schedule 13D within five business days after the date beneficial ownership
of more than five percent of a class of equity securities specified in Rule 13d-1(i)(1) was
acquired. If the Schedule 13D was not filed within the required five business days after
the date of the acquisition, please advise us why the Schedule 13D was not timely filed.

September 24, 2024
Page 2
            We remind you that the filing persons are responsible for the accuracy and adequacy of
their disclosures, notwithstanding any review, comments, action or absence of action by the staff.
            Please direct any questions to Shane Callaghan at 202-551-6977 or Nicholas Panos at
202-551-3266.
Sincerely,
Division of Corporation Finance
Office of Mergers & Acquisitions