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Correspondence 0000919574-23-005310 from OceanPal Inc. (SVRN)

OceanPal Inc.
Date: Sept. 22, 2023 · CIK: 0001869467 · Accession: 0000919574-23-005310

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File numbers found in text: 001-40930

Referenced dates: September 15, 2023

Date
September 22, 2023
Author
/s/ Edward S. Horton
Form
CORRESP
Company
OceanPal Inc.

Letter

Division of Corporation Finance Office of Energy & Transportation Re: OceanPal Inc. Form 20-F for the Fiscal Year ended December 31, 2022 Filed March 30, 2023 File No. 001-40930

Dear Ms. Gallagher:

This letter is submitted on behalf of OceanPal Inc. (the “Company”) in response to the comment of the staff of the Division of Corporation Finance (the “Staff”) of the U.S. Securities and Exchange Commission (the “Commission”) with respect to the Company’s annual report on Form 20-F for the fiscal year ended December 31, 2022, filed on March 30, 2023 (the “20-F”), as set forth in the Staff’s letter dated September 15, 2023 (the “Comment Letter”). The Company is concurrently filing its Amendment No. 1 to the 20-F to address the Staff’s comment in the Comment Letter.

For the Staff’s convenience, we have incorporated your comment into this response letter in italics.

Form 20-F for the Fiscal Year ended December 31, 2022

Exhibits

1. We note that your officer certifications at Exhibits 12.1 and 12.2 exclude the language of paragraph 4(b) and the introductory language in paragraph 4 regarding responsibilities for establishing and maintaining internal control over financial reporting and the associated design objectives for which certification is required.

Please amend your annual report to include certifications having all of the prescribed language as set forth in paragraph 12 of Item 19 of Form 20-F.

The Company respectfully advises the Staff that it has filed an Amendment No. 1 to the 20-F to include in the officer certifications provided in Exhibits 12.1 and 12.2 paragraph 4(b) and the reference to internal control over financial reporting in the introductory language of paragraph 4 pursuant to paragraph 12 of Item 19 of Form 20-F. Additionally, the Company has limited this Amendment No.1 to the 20-F to the cover page, explanatory note, signature page, and paragraphs 1, 2, 4 and 5 of the certifications pursuant to Question 246.13 of the Compliance and Disclosure Interpretations of Regulation S-K.

If you have any questions or comments concerning the enclosed, please feel free to contact the undersigned at (212) 574-1265 (horton@sewkis.com).

Sincerely,
/s/ Edward S. Horton

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CORRESP
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            Seward & Kissel llp

            ONE BATTERY PARK PLAZA

            NEW YORK, NEW YORK  10004

            WRITER’S DIRECT DIAL

            TELEPHONE:  (212)  574-1200

            FACSIMILE:  (212) 480-8421

            WWW.SEWKIS.COM

            901 K Street, NW

            WASHINGTON, D.C. 20001

            TELEPHONE:  (202) 737-8833

            FACSIMILE:  (202) 737-5184

              September 22, 2023

    U.S. Securities and Exchange Commission

      Division of Corporation Finance

      Office of Energy & Transportation

      100 F Street, N.E.

      Washington, D.C. 20549

    Re: OceanPal Inc.

    Form 20-F for the Fiscal Year ended December 31, 2022

    Filed March 30, 2023

    File No. 001-40930

    Dear Ms. Gallagher:

    This letter is submitted on behalf of OceanPal Inc. (the “Company”) in response to the comment of the staff of the Division of Corporation
      Finance (the “Staff”) of the U.S. Securities and Exchange Commission (the “Commission”) with respect to the Company’s annual report on Form 20-F for the fiscal year ended December 31, 2022, filed on March 30, 2023 (the “20-F”), as set forth in the
      Staff’s letter dated September 15, 2023 (the “Comment Letter”). The Company is concurrently filing its Amendment No. 1 to the 20-F to address the Staff’s comment in the Comment Letter.

    For the Staff’s convenience, we have incorporated your comment into this response letter in italics.

    Form 20-F for the Fiscal Year ended December 31, 2022

    Exhibits

    1. We note that your officer certifications at Exhibits 12.1 and 12.2 exclude the language of paragraph 4(b) and the introductory language in
      paragraph 4 regarding responsibilities for establishing and maintaining internal control over financial reporting and the associated design objectives for which certification is required.

    Please amend your annual report to include certifications having all of the prescribed language as set forth in paragraph 12 of Item 19 of Form
      20-F.

    The Company respectfully advises the Staff that it has filed an Amendment No. 1 to the 20-F to include in the officer certifications provided in Exhibits 12.1 and
      12.2 paragraph 4(b) and the reference to internal control over financial reporting in the introductory language of paragraph 4 pursuant to paragraph 12 of Item 19 of Form 20-F. Additionally, the Company has limited this Amendment No.1 to the 20-F to
      the cover page, explanatory note, signature page, and paragraphs 1, 2, 4 and 5 of the certifications pursuant to Question 246.13 of the Compliance and Disclosure Interpretations of Regulation S-K.

    If you have any questions or comments concerning the enclosed, please feel free to contact the undersigned at (212)
      574-1265 (horton@sewkis.com).

            Sincerely,

            /s/ Edward S. Horton

            Edward S. Horton, Esq.