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Correspondence 0001013762-24-001808 from Aimfinity Investment Corp. I (AIMA, AIMAU, AIMAW, AIMBU) (CIK 0001903464) (AIMTF)

Aimfinity Investment Corp. I (AIMA, AIMAU, AIMAW, AIMBU) (CIK 0001903464)
Date: July 29, 2024 · CIK: 0001903464 · Accession: 0001013762-24-001808

AI Filing Summary & Sentiment

File numbers found in text: 001-41361

Referenced dates: July 24, 2024

Date
July 29, 2024
Author
/s/ I-Fa Chang
Form
CORRESP
Company
Aimfinity Investment Corp. I (AIMA, AIMAU, AIMAW, AIMBU) (CIK 0001903464)

Letter

Division of Corporation Finance Office of Industrial Applications and Services Attention: Christie Wong Terence O’Brien Re: Aimfinity Acquisition Corp. I Form 10-K for Fiscal Year Ended December 31, 2023 File No. 001-41361

Dear Ms. Wong and Mr. O’Brien:

Aimfinity Acquisition Corp. I (the “Company”) hereby provides a response to the comment issued by the staff of the Division of Corporation Finance of the U.S. Securities and Exchange Commission (the “Staff”) in a letter dated July 24, 2024 regarding the Company’s Annual Report on Form 10-K for the fiscal year ended December 31, 2023 (the “Form 10-K”). Contemporaneously, the Company is filing Amendment No. 1 to the Form 10-K (the “Form 10-K/A”). For your convenience, the comment is repeated below, followed by the Company’s response.

Form 10-K for Fiscal Year Ended December 31, 2023

Exhibit 31

1. We note that the certifications provided as Exhibit 31.1 and Exhibit 31.2 for your Form 10-K for fiscal year ended December 31, 2023 do not include paragraph 4(b) and the introductory language in paragraph 4, referring to your internal control over financial reporting. Please amend the filing to provide revised certifications. You may file an abbreviated amendment that is limited to the cover page, explanatory note, signature page and paragraphs 1, 2, 4 and 5 of the certification. Refer to Exchange Act Rule 13a-14(a) and Item 601(b)(31) of Regulation S-K. Please ensure the revised certifications refer to the Form 10-K/A and are currently dated.

Response: In response to the Staff’s comment, the Company has revised the certifications provided as Exhibit 31.1 and Exhibit 31.2 and has refiled them with the Form 10-K/A.

******

If you have any questions, please do not hesitate to call our counsel, Ze’-ev D. Eiger, Esq., of Robinson & Cole LLP, at (212) 451-2907, or Arila E. Zhou, Esq., of Robinson & Cole LLP, at (212) 451-2908.

Very truly yours,
By:
/s/ I-Fa Chang

Show Raw Text
CORRESP
1
filename1.htm

Aimfinity Acquisition Corp. I

221 W 9th St, PMB 235

Wilmington, Delaware 19801

July 29, 2024

Division of Corporation Finance

Office of Industrial Applications and Services

U.S. Securities and Exchange Commission

100 F Street, NE

Washington, D.C. 20549

  Attention:
  Christie Wong

  Terence O’Brien

    Re:
    Aimfinity Acquisition Corp. I

Form 10-K for Fiscal Year Ended
December 31, 2023

File No. 001-41361

Dear Ms. Wong and Mr. O’Brien:

Aimfinity Acquisition Corp.
I (the “Company”) hereby provides a response to the comment issued by the staff of the Division of Corporation Finance of
the U.S. Securities and Exchange Commission (the “Staff”) in a letter dated July 24, 2024 regarding the Company’s Annual
Report on Form 10-K for the fiscal year ended December 31, 2023 (the “Form 10-K”). Contemporaneously, the Company is filing
Amendment No. 1 to the Form 10-K (the “Form 10-K/A”). For your convenience, the comment
is repeated below, followed by the Company’s response.

Form 10-K for Fiscal Year Ended December 31, 2023

Exhibit 31

    1.
    We note that the certifications provided as Exhibit 31.1 and Exhibit 31.2 for your Form 10-K for fiscal year ended December 31, 2023 do not include paragraph 4(b) and the introductory language in paragraph 4, referring to your internal control over financial reporting. Please amend the filing to provide revised certifications. You may file an abbreviated amendment that is limited to the cover page, explanatory note, signature page and paragraphs 1, 2, 4 and 5 of the certification. Refer to Exchange Act Rule 13a-14(a) and Item 601(b)(31) of Regulation S-K. Please ensure the revised certifications refer to the Form 10-K/A and are currently dated.

Response: In response to the Staff’s
comment, the Company has revised the certifications provided as Exhibit 31.1 and Exhibit 31.2 and has refiled them with the Form 10-K/A.

******

If you have any questions,
please do not hesitate to call our counsel, Ze’-ev D. Eiger, Esq., of Robinson & Cole LLP, at (212) 451-2907, or Arila E. Zhou,
Esq., of Robinson & Cole LLP, at (212) 451-2908.

    Very truly yours,

    By:
    /s/ I-Fa Chang

    I-Fa Chang

    CEO and Chairman

    cc:
    Ze’-ev D. Eiger, Esq.

    Arila E. Zhou, Esq.

    Robinson & Cole LLP