Correspondence 0001493152-23-041948 from Prairie Operating Co. (PROP)
Prairie Operating Co.
Date: Nov. 17, 2023 · CIK: 0001162896 · Accession: 0001493152-23-041948
AI Filing Summary & Sentiment
File numbers found in text: 333-272743
Referenced dates: November 16, 2023
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CORRESP
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filename1.htm
Prairie
Operating Co.
602
Sawyer Street, Suite 710
Houston,
Texas 77007
November
17, 2023
Division
of Corporation Finance
Office
of Crypto Assets
United
States Securities and Exchange Commission
Division
of Corporation Finance
100
F Street, N.E.
Washington,
D.C. 20549-3561
Re:
Prairie
Operating Co.
Amendment
No. 5 to Registration Statement on Form S-1
Filed
November 6, 2023
File
No. 333-272743
Ladies
and Gentlemen:
Set
forth below are the responses of Prairie Operating Co. (the “Company,” “we,” “us”
or “our”) to comments received from the staff of the Division of Corporation Finance (the “Staff”)
of the Securities and Exchange Commission (the “Commission”) by letter dated November 16, 2023, with respect
to the Company’s Amendment No. 5 to the Registration Statement on Form S-1, File No. 333-272743, filed with the Commission on November
6, 2023 (the “Registration Statement”).
For
your convenience, each response is prefaced by the exact text of the Staff’s corresponding comment in bold, italicized text. Concurrently
with the submission of this letter, we are also submitting Amendment No. 6 to the Registration Statement (“Amendment No.
6”) via EDGAR. All references to page numbers and captions correspond to Amendment No. 6 unless otherwise specified.
Amendment
No. 5 to Form S-1 filed November 6, 2023
Risk
Factors, page 8
1.
Please
add a separate risk factor addressing the risk that the assumptions in your “shutdown bitcoin price” and breakeven analysis
disclosure on pages 52 - 54 may turn out to be inaccurate and the potential risks to investors arising therefrom. Also please include
a cross-reference to this risk factor in your Factors Affecting Profitability discussion.
RESPONSE:
We respectfully acknowledge the Staff’s comment and have revised our disclosures on pages 14 and 46 of Amendment
No. 6.
Business
Factors
Affecting Profitability, page 52
2.
We
note your responses to comments 2 and 3. Please expand your disclosure in this section to disclose the information you have provided
in these responses.
RESPONSE:
We respectfully acknowledge the Staff’s comment and have revised our disclosures on pages 46-47 of Amendment No. 6.
3.
We
note your response to comment 5. Please revise to provide a breakeven analysis illustrating to investors the impact of hardware purchasing
costs on your mining operations, among other costs. We note from page 53 that your mining machines only have a useful life of 2 -
5 years and that you recognized $132,851 of depreciation with respect to your miners for the quarter ended June 30, 2023. Given this
substantial expense and the fact that you will have to replace your miners every few years, it appears that the cost of purchasing
mining equipment is a substantial expense that will impact the success of your mining operations.
RESPONSE:
We respectfully acknowledge the Staff’s comment and have revised our disclosures on pages 46-47 of Amendment No. 6.
* * * * *
Please
direct any questions that you have with respect to the foregoing or if any additional supplemental information is required by the Staff,
please contact T. Mark Kelly of Vinson & Elkins L.L.P. at (713) 758-4592 or Joanna D. Enns of Vinson & Elkins L.L.P. at (214)
220-7753.
Very truly yours,
PRAIRIE OPERATING CO.
By:
/s/
Edward Kovalik
Name:
Edward
Kovalik
Title:
Chief
Executive Officer
Enclosures
cc:
T.
Mark Kelly, Vinson & Elkins L.L.P.
Joanna
D. Enns, Vinson & Elkins L.L.P.