SecProbe.io

Filing text and metadata
Intelligence Terminal Search Topics Monthly Activity About

Correspondence 0001104659-24-080685 from ONECONNECT FINANCIAL TECHNOLOGY CO., LTD. (OCFT) (CIK 0001780531)

ONECONNECT FINANCIAL TECHNOLOGY CO., LTD. (OCFT) (CIK 0001780531)
Date: July 18, 2024 · CIK: 0001780531 · Accession: 0001104659-24-080685

Financial Reporting Regulatory Compliance Internal Controls

AI Filing Summary & Sentiment

Sentiment
Urgency
Document Type
Confidence
SEC Posture
Company Posture

Summary

Reasoning

File numbers found in text: 001-39147

Referenced dates: July 5, 2024

Date
July 18, 2024
Author
/s/ Yongtao Luo
Form
CORRESP
Company
ONECONNECT FINANCIAL TECHNOLOGY CO., LTD. (OCFT) (CIK 0001780531)

Letter

VIA EDGAR Division of Corporation Finance Office of Technology Washington, D.C. 20549 Re: OneConnect Financial Technology Co., Ltd. (the “Company”) Forms 20-F and 20-F/A for the year ended December 31, 2023 (“FY 2023 20-F”) File No. 001-39147

Dear Ms. Ebbertt and Ms. Collins:

In response to the comments of the staff (the “Staff”) of the Securities and Exchange Commission (the “Commission”) dated July 5, 2024 (the “Comment Letter”), the Company submits this letter containing its responses to the Comment Letter via EDGAR to the Commission.

For your convenience, the Staff’s comments from the Comment Letter are repeated below in bold, followed by the Company’s responses. Capitalized terms used but not otherwise defined herein have the meanings set forth in FY 2023 20-F and the response letter dated July 5, 2024 (the “Previous Response”). Simultaneously with the transmission of this letter, the Company is filing via EDGAR amendment No.2 to FY 2023 20-F (the “Amendment No.2”), responding to the Staff’s comment.

Amendment to Form 20-F for the year ended December 31, 2023

General

1. We note your response to prior comment 1. Please amend your Form 20-F to include full Item 15 disclosures as well as your audited financial statements for the fiscal year ended December 31, 2023. Refer to guidance in Regulation S-K Compliance and Disclosure Interpretation Section 246.13.

In response to the Staff’s comment, the Company has filed the Amendment No.2 to include full Item 15 disclosures, audited financial statements for the fiscal year ended December 31, 2023 and revised certifications. Such revised certifications are filed as exhibits to the Amendment No.2.

If you have any questions regarding the FY 2023 20-F, please contact Mr. Yongtao Luo, the Chief Financial Officer of OneConnect Financial Technology Co., Ltd., by telephone at (86) 21 38638706 or via e-mail at LUOYONGTAO001@ocft.com.

Very truly yours,
By:
/s/ Yongtao Luo

Show Raw Text
CORRESP
1
filename1.htm

OneConnect Financial Technology Co., Ltd.

21/24F, Ping An Finance Center, No. 5033
Yitian Road

Futian District, Shenzhen, Guangdong, 518000

The People’s Republic of China

July 18, 2024

VIA EDGAR

Brittany Ebbertt

Kathleen Collins

Division of Corporation Finance

Office of Technology

U.S. Securities and Exchange Commission

100 F Street, N.E.

Washington, D.C. 20549

Re:  OneConnect Financial Technology
Co., Ltd. (the “Company”)

 Forms 20-F and 20-F/A for the year ended December 31,
2023 (“FY 2023 20-F”)

 File No. 001-39147

Dear Ms. Ebbertt and Ms. Collins:

In response to the comments
of the staff (the “Staff”) of the Securities and Exchange Commission (the “Commission”) dated July 5, 2024
(the “Comment Letter”), the Company submits this letter containing its responses to the Comment Letter via EDGAR to the Commission.

For your convenience, the
Staff’s comments from the Comment Letter are repeated below in bold, followed by the Company’s responses. Capitalized terms
used but not otherwise defined herein have the meanings set forth in FY 2023 20-F and the response letter dated July 5, 2024 (the
 “Previous Response”). Simultaneously with the transmission of this letter, the Company is filing via EDGAR amendment No.2
to FY 2023 20-F (the “Amendment No.2”), responding to the Staff’s comment.

Amendment to Form 20-F for the year
ended December 31, 2023

General

 1. We note your response to prior comment 1. Please amend your Form 20-F to include full Item 15 disclosures as well as your
audited financial statements for the fiscal year ended December 31, 2023. Refer to guidance in Regulation S-K Compliance and Disclosure
Interpretation Section 246.13.

In response to the Staff’s
comment, the Company has filed the Amendment No.2 to include full Item 15 disclosures, audited financial statements for the fiscal year
ended December 31, 2023 and revised certifications. Such revised certifications are filed as exhibits to the Amendment No.2.

If you have any questions
regarding the FY 2023 20-F, please contact Mr. Yongtao Luo, the Chief Financial Officer of OneConnect Financial Technology Co., Ltd.,
by telephone at (86) 21 38638706 or via e-mail at LUOYONGTAO001@ocft.com.

  Very truly yours,

  By:
  /s/ Yongtao Luo

  Name:
  Yongtao Luo

  Title:
  Chief Financial Officer

cc: Ms. Shuang Zhao, Partner, Cleary Gottlieb Steen &
Hamilton LLP