Correspondence 0001104659-24-011165 from RARE ELEMENT RESOURCES LTD (REEMF)
RARE ELEMENT RESOURCES LTD
Date: Feb. 6, 2024 · CIK: 0001419806 · Accession: 0001104659-24-011165
AI Filing Summary & Sentiment
File numbers found in text: 333-275892
Referenced dates: February 5, 2024
Show Raw Text
CORRESP
1
filename1.htm
Edward R. Shaoul
303.892.7262
edward.shaoul@dgslaw.com
February 6, 2024
VIA EDGAR
Office of Energy & Transportation
Division of Corporation Finance
U.S. Securities and Exchange Commission
100 F Street, NE
Washington, DC 20549
Attention: Ms. Cheryl Brown and Mr. Daniel Morris
Re:
Rare Element Resources Ltd.
Amendment No. 1 to Registration Statement on Form S-1
Filed January 10, 2024
File No. 333-275892
Dear Ms. Brown and Mr. Morris:
On behalf of Rare Element
Resources Ltd. (the “Company”), set forth below are the responses of the Company to the comment received from the
staff (the “Staff”) of the Securities and Exchange Commission contained in the letter dated February 5, 2024
(the “Comment Letter”), regarding the above-referenced Amendment No. 1 to Registration Statement on Form S-1
(the “S-1”). In connection herewith, the Company has filed via EDGAR Amendment No. 2 to Registration Statement
on Form S-1 (the “Second Amended S-1”), which incorporates the changes made in response to the Comment Letter.
For the convenience of the Staff, we have transcribed the comment being addressed, followed by the Company’s response.
Material United States Federal Income Tax
Consequences, page 39
1. We note your response to prior
comment 7. To the extent you intend to file a short-form tax opinion, revise to state
that the disclosure in this section constitutes the opinion of counsel, and name such counsel.
Refer to Section III.B of Staff Legal Bulletin No. 19. In addition, please note
that the tax opinion should be filed as Exhibit 8.1.
Response: The Company has revised
the disclosure in the S-1 in response to the Staff’s comment. Please see the Second Amended S-1 on or around pages 11, 18,
22, 39, 40, II-3 and II-4.
Davis
Graham & Stubbs LLP ▪ 1550 17th Street, Suite 500 ▪
Denver, CO 80202 ▪ 303.892.9400 ▪ fax
303.893.1379 ▪ dgslaw.com
U.S. Securities
and Exchange Commission
February
6, 2024
Page 2
We
have endeavored to provide you with everything requested. Should you have additional questions or comments, please contact the undersigned
at (303) 892-7262.
Sincerely,
/s/ Edward
R. Shaoul
Edward R. Shaoul
Partner for
Davis Graham & Stubbs LLP
Enclosure
cc: Brent D. Berg, Rare Element Resources Ltd.