Correspondence 0001731122-23-002236 from Kaival Brands Innovations Group, Inc. (KAVL)
Kaival Brands Innovations Group, Inc.
Date: Dec. 12, 2023 · CIK: 0001762239 · Accession: 0001731122-23-002236
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File numbers found in text: 333-275653
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CORRESP
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Kaival
Brands Innovations Group, Inc.
4460
Old Dixie Highway
Grant-Valkaria,
Florida 32949
VIA
EDGAR
December
12, 2023
U.S.
Securities & Exchange Commission
Division
of Corporation Finance, Office of Trade and Services
100
F Street, NE
Washington,
D.C. 20549
Attn:
Alyssa Wall
Re:
Kaival
Brands Innovations Group, Inc.
Registration Statement on Form S-1
Filed
November 20, 2023
File
No. 333-275653
Dear
Ms. Wall:
Kaival
Brands Innovations Group, Inc. (the “Company,” “we,” “our” or “us”)
hereby transmits the Company’s response to the comment letter received from the staff (the “Staff”) of the U.S.
Securities and Exchange Commission (the “Commission”) on December 7, 2023 regarding the Company’s Registration
Statement on Form S-1 (the “Registration Statement”) filed with the Commission on November 20, 2023.
For
your convenience, we have repeated below the Staff’s comments in bold, and have followed each comment with the Company’s
response. In addition, we have made disclosure changes based on the Staff’s comments in Amendment No. 1 to the Registration Statement
(“Amendment No. 1”) which has been filed with the Commission concurrently with the transmission of this response letter.
Registration
Statement on Form S-1
General
1. We
note your disclosure on the cover page and page 66 that GoFire “may be deemed”
an underwriter within the meaning of the Securities Act of 1933. Please revise this disclosure
to state that GoFire is an “underwriter” within the meaning of Section 2(a)(11)
of the Securities Act. In this regard, it appears GoFire is engaged in a distribution of
the registrant's securities. Please make conforming revisions on the cover page and in the
plan of distribution.
We
acknowledge the Staff’s comment and have made changes accordingly on the cover page and in the plan of distribution section of
the prospectus contained in Amendment No. 1.
2. Please
provide the information required by Item 507 of Regulation S-K for GoFire and revise the
plan of distribution to clearly indicate GoFire's role in the resale in accordance with Item
508.
We
have provided the additional disclosures requested by the Staff in Amendment No. 1.
We
thank the Staff for its review of the foregoing and Amendment No. 1. If you have further comments, or should you need to discuss these
matters further, please feel free to contact to our counsel, Lawrence A. Rosenbloom, Esq., at lrosenbloom@egsllp.com or by telephone
at (212) 370-1300.
Sincerely,
/s/ Eric Mosser
Eric Mosser
President and Chief Executive Officer
Kaival Brands Innovations Group, Inc.
cc:
Lawrence
A. Rosenbloom, Esq.