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Correspondence 0001493152-23-034417 from White River Energy Corp. (WTRV, WTRVW) (CIK 0001589361)

White River Energy Corp. (WTRV, WTRVW) (CIK 0001589361)
Date: Sept. 27, 2023 · CIK: 0001589361 · Accession: 0001493152-23-034417

AI Filing Summary & Sentiment

File numbers found in text: 333-268707

Date
September 19, 2023
Author
By
Form
CORRESP
Company
White River Energy Corp. (WTRV, WTRVW) (CIK 0001589361)

Letter

White River Energy Corp

W/ Dickson St., Suite 102 G

Fayetteville, AR 72701

September 27, 2023

VIA EDGAR

Securities and Exchange Commission

Division of Corporation Finance

Office of Energy & Transportation

Re: White River Energy Corp

Amendment No. 10 to Registration Statement on Form S-1

Filed September 19, 2023

File No. 333-268707

Ladies and Gentlemen:

This letter is submitted by White River Energy Corp (the “Company”) in response to the comment letter received on September 27, 2023 from the Staff of the Division of Corporation Finance (the “Staff”) of the Securities and Exchange Commission with respect to the Company’s Amendment No. 10 to the Registration Statement on Form S-1 filed September 19, 2023. Amendment No. 11, which is being filed as an “exhibits-only” filing to address the Staff’s comment, is being filed simultaneously.

For your convenience, the Staff’s comment has been restated below in its entirety, with the Company’s response set forth immediately beneath such comment.

Amendment No. 10 to Registration Statement on Form S-1 filed September 19, 2023

Exhibits

1. Please have counsel revise the legal opinion filed as Exhibit 5.1 to ensure that it is consistent with your prospectus and your fee table filed as Exhibit 107 with respect to the number of securities being offered.

Response: We have filed the revised legal opinion as new Exhibit 5.1 in Amendment No. 11 to the Registration Statement.

Should the staff have any additional questions or comments after reviewing this response letter, we would appreciate an opportunity to discuss these comments or questions with the staff prior to the distribution of another comment letter. Please direct any questions concerning this response letter to Michael D. Harris, of Nason Yeager Gerson Harris & Fumero, P.A., the Company’s legal counsel, at 561-644-2222, mharris@nasonyeager.com.

Sincerely,
White River Energy Corp

Show Raw Text
CORRESP
1
filename1.htm

White
River Energy Corp

609
W/ Dickson St., Suite 102 G

Fayetteville,
AR 72701

September
27, 2023

VIA
EDGAR

Securities
and Exchange Commission

Division
of Corporation Finance

Office
of Energy & Transportation

    Re:
    White River Energy Corp

    Amendment No. 10 to Registration Statement on Form
    S-1

    Filed September 19, 2023

    File No. 333-268707

Ladies
and Gentlemen:

This
letter is submitted by White River Energy Corp (the “Company”) in response to the comment letter received on September 27,
2023 from the Staff of the Division of Corporation Finance (the “Staff”) of the Securities and Exchange Commission with respect
to the Company’s Amendment No. 10 to the Registration Statement on Form S-1 filed September 19, 2023. Amendment No. 11, which is
being filed as an “exhibits-only” filing to address the Staff’s comment, is being filed simultaneously.

For
your convenience, the Staff’s comment has been restated below in its entirety, with the Company’s response set forth immediately
beneath such comment.

Amendment
No. 10 to Registration Statement on Form S-1 filed September 19, 2023

Exhibits

 1. Please
                                            have counsel revise the legal opinion filed as Exhibit 5.1 to ensure that it is consistent
                                            with your prospectus and your fee table filed as Exhibit 107 with respect to the number of
                                            securities being offered.

  Response: We have
  filed the revised legal opinion as new Exhibit 5.1 in Amendment No. 11 to the Registration Statement.

Should
the staff have any additional questions or comments after reviewing this response letter, we would appreciate an opportunity to discuss
these comments or questions with the staff prior to the distribution of another comment letter. Please direct any questions concerning
this response letter to Michael D. Harris, of Nason Yeager Gerson Harris & Fumero, P.A., the Company’s legal counsel, at 561-644-2222,
mharris@nasonyeager.com.

    Sincerely,

    White River Energy Corp

    By:
    /s/ Jay
    Puchir

    Jay Puchir, CFO

    cc:
    Michael Harris, Esq.