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SEC Comment Letter 0000000000-23-003843 to Golden Star Acquisition Corp (GODN, GODNR, GODNU) (CIK 0001895144)

Golden Star Acquisition Corp (GODN, GODNR, GODNU) (CIK 0001895144)
Date: April 17, 2023 · CIK: 0001895144 · Accession: 0000000000-23-003843

AI Filing Summary & Sentiment

File numbers found in text: 333-261569

Date
April 17, 2023
Author
Not clearly detected
Form
UPLOAD
Company
Golden Star Acquisition Corp (GODN, GODNR, GODNU) (CIK 0001895144)

Letter

United States securities and exchange commission logo April 17, 2023 Linjun Guo Chief Executive Officer Golden Star Acquisition Corporation 99 Hudson Street, 5th Floor New York, New York 10013 Re:Golden Star Acquisition Corporation Amendment No. 5 to Registration Statement on Form S-1 Filed April 13, 2023 File No. 333-261569 Dear Linjun Guo: We have reviewed your amended registration statement and have the following comments. In some of our comments, we may ask you to provide us with information so we may better understand your disclosure. Please respond to this letter by amending your registration statement and providing the requested information. If you do not believe our comments apply to your facts and circumstances or do not believe an amendment is appropriate, please tell us why in your response. After reviewing any amendment to your registration statement and the information you provide in response to these comments, we may have additional comments. Unless we note otherwise, our references to prior comments are to comments in our March 21, 2023 letter. Amendment No. 5 to Registration Statement on Form S-1 filed April 13, 2023 Summary of Risk Factors, page 34 1.We reissue comment 1. For each of the bulleted risks identified under the captions "Risks to investors related to our sponsor being controlled by our chairman and chief executive officer who has significant ties to China and our executive officers and directors being located in or having significant ties to China" and "Risks Related to Doing Business in the PRC if we were to acquire a Business based in or controlled by PRC Residents," please revise to include the corresponding page number where the more detailed discussion of each risk may be found in the prospectus. Such cross reference should be to the more detailed information, typically in the risk factors section, not the summary.

FirstName LastNameLinjun Guo Comapany NameGolden Star Acquisition Corporation April 17, 2023 Page 2 FirstName LastName Linjun Guo Golden Star Acquisition Corporation April 17, 2023 Page 2 Risk Factors, page 39 2.We partially reissue comment 2. Please revise the risk factor on page 51 regarding the excise tax to include in your disclosure, if applicable, that the excise tax could reduce the trust account funds available to pay redemptions or that are available to the combined company following a de-SPAC. Describe the risks of the excise tax applying to redemptions in connection with liquidations that are not implemented to fall within the meaning of “complete liquidation” in Section 331 of the Internal Revenue Code.

Please contact Benjamin Holt at 202-551-6614 or Pam Howell at 202-551-3357 with any questions. Sincerely, Division of Corporation Finance Office of Real Estate & Construction cc: Robert C. Brighton, Jr.

Show Raw Text
United States securities and exchange commission logo
April 17, 2023
Linjun Guo
Chief Executive Officer
Golden Star Acquisition Corporation
99 Hudson Street, 5th Floor
New York, New York 10013
Re:Golden Star Acquisition Corporation
Amendment No. 5 to Registration Statement on Form S-1
Filed April 13, 2023
File No. 333-261569
Dear Linjun Guo:
            We have reviewed your amended registration statement and have the following
comments.  In some of our comments, we may ask you to provide us with information so we
may better understand your disclosure.
            Please respond to this letter by amending your registration statement and providing the
requested information.  If you do not believe our comments apply to your facts and
circumstances or do not believe an amendment is appropriate, please tell us why in your
response.
            After reviewing any amendment to your registration statement and the information you
provide in response to these comments, we may have additional comments.  Unless we note
otherwise, our references to prior comments are to comments in our March 21, 2023 letter.
Amendment No. 5 to Registration Statement on Form S-1 filed April 13, 2023
Summary of Risk Factors, page 34
1.We reissue comment 1.  For each of the bulleted risks identified under the captions "Risks
to investors related to our sponsor being controlled by our chairman and chief executive
officer who has significant ties to China and our executive officers and directors being
located in or having significant ties to China" and "Risks Related to Doing Business in the
PRC if we were to acquire a Business based in or controlled by PRC Residents," please
revise to include the corresponding page number where the more detailed discussion of
each risk may be found in the prospectus.  Such cross reference should be to the more
detailed information, typically in the risk factors section, not the summary.

 FirstName LastNameLinjun Guo
 Comapany NameGolden Star Acquisition Corporation
 April 17, 2023 Page 2
 FirstName LastName
Linjun Guo
Golden Star Acquisition Corporation
April 17, 2023
Page 2
Risk Factors, page 39
2.We partially reissue comment 2.  Please revise the risk factor on page 51 regarding the
excise tax to include in your disclosure, if applicable, that the excise tax could reduce the
trust account funds available to pay redemptions or that are available to the combined
company following a de-SPAC.  Describe the risks of the excise tax applying to
redemptions in connection with liquidations that are not implemented to fall within the
meaning of “complete liquidation” in Section 331 of the Internal Revenue Code.

            Please contact Benjamin Holt at 202-551-6614 or Pam Howell at 202-551-3357 with any
questions.
Sincerely,
Division of Corporation Finance
Office of Real Estate & Construction
cc:       Robert C. Brighton, Jr.