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Correspondence 0001104659-23-119977 from Highlands REIT, Inc. (CIK 0001661458)

Highlands REIT, Inc. (CIK 0001661458)
Date: Nov. 20, 2023 · CIK: 0001661458 · Accession: 0001104659-23-119977

AI Filing Summary & Sentiment

Referenced dates: November 10, 2023

Date
November 20, 2023
Author
ALSTON & BIRD LLP
Form
CORRESP
Company
Highlands REIT, Inc. (CIK 0001661458)

Letter

Washington, D.C. 20549 Re: Highlands REIT, Inc. SC TO-I/A filed November 8, 2023 File No. 005-89603

Dear Mr. Soares and Mr. Plattner

On behalf of Highlands REIT, Inc., a Maryland corporation (the “Company”), we hereby respond to comments from the staff (the “Staff”) of the U.S. Securities and Exchange Commission (the “Commission”) received in a letter dated November 10, 2023, relating to the Company’s SC TO-I/A filed on November 8, 2023.

Schedule TO-I/A filed November 8, 2023; Offer to Purchase

General

Comment 1:

We note your response to prior comment 1 but continue to have concerns. Please revise your price range to be narrower (e.g., such that the high end of the price range is no more than 20% of the low end of the price range) to establish compliance with your disclosure requirements under Item 4 of Schedule TO and in particular, Item 1004(a)(1)(ii) of Regulation M-A.

Response:

The Company respectfully submits to the Staff that it continues to believe the original price range is reasonable under the current circumstances. While the Company disagrees with the Staff’s position, the Company has revised its offering documents to reduce the price range in accordance with the Staff’s view.

Conditions of the Offer, page 21

Comment 7:

We note your response to prior comment 7 and reissue the comment with regard to the last bullet on page 21. 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.

Response:

In response to the Staff’s comment, the Company has revised the condition to remove the reference to the limitation on prices.

Sincerely,
ALSTON & BIRD LLP

Show Raw Text
CORRESP
1
filename1.htm

90 Park Avenue

New York, NY 10016

212-210-9400 | Fax: 212-210-9444

    Evan Hudson
    Direct Dial: 212-210-9475
     Email: evan.hudson@alston.com

November 20, 2023

Brian Soares

David Plattner

U.S. Securities and Exchange Commission

100 F Street, N.E.

Washington, D.C. 20549

  Re:
  Highlands REIT, Inc.

SC TO-I/A filed November 8, 2023

File No. 005-89603

Dear Mr. Soares and Mr. Plattner

On behalf of Highlands REIT,
Inc., a Maryland corporation (the “Company”), we hereby respond to comments from the staff (the “Staff”)
of the U.S. Securities and Exchange Commission (the “Commission”) received in a letter dated November 10, 2023, relating
to the Company’s SC TO-I/A filed on November 8, 2023.

Schedule TO-I/A filed November 8, 2023;
Offer to Purchase

General

Comment 1:

We note your response to prior comment 1
but continue to have concerns. Please revise your price range to be narrower (e.g., such that the high end of the price range is no more
than 20% of the low end of the price range) to establish compliance with your disclosure requirements under Item 4 of Schedule TO and
in particular, Item 1004(a)(1)(ii) of Regulation M-A.

Response:

The Company respectfully submits to the Staff
that it continues to believe the original price range is reasonable under the current circumstances. While the Company disagrees with
the Staff’s position, the Company has revised its offering documents to reduce the price range in accordance with the Staff’s
view.

Conditions of the Offer, page 21

Comment 7:

We note your response to prior comment
7 and reissue the comment with regard to the last bullet on page 21. 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.

Response:

In response to the Staff’s comment, the
Company has revised the condition to remove the reference to the limitation on prices.

    Sincerely,

    ALSTON & BIRD LLP

    /s/ Evan Hudson

    Evan Hudson, Esq.

    cc: Dennis Garris