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Correspondence 0001493152-22-032405 from CBL International Ltd (BANL) (CIK 0001914805) (BANL)

CBL International Ltd (BANL) (CIK 0001914805)
Date: Nov. 15, 2022 · CIK: 0001914805 · Accession: 0001493152-22-032405

AI Filing Summary & Sentiment

File numbers found in text: 333-267077

Referenced dates: November 14, 2022

Date
Nov. 15, 2022
Author
/s/
Form
CORRESP
Company
CBL International Ltd (BANL) (CIK 0001914805)

Letter

Via Edgar Division of Corporation Finance Office of Trade & Services Re: CBL International Ltd (the “Company”) Amendment No. 5 to Registration Statement on Form F-1 Filed November 4, 2022 File No. 333-267077

Dear SEC Officers:

We hereby provide a response to the comments issued in a letter dated November 14, 2022 (the “Staff’s Letter”) regarding the Amendment No. 5 to the Company’s Registration Statement on Form F-1 (the “Registration Statement”). Contemporaneously, we are filing the revised Registration Statement via Edgar (the “Amended F-1”).

In order to facilitate the review by the Commission’s staff (the “Staff”) of the Amended F-1, we have responded to the comments set forth in the Staff’s Letter on a point-by-point basis. The numbered paragraphs set forth below respond to the Staff’s comments and correspond to the numbered paragraph in the Staff’s Letter.

Risk Factors, page 17

1. We note recent instances of extreme stock price run-ups followed by rapid price declines and stock price volatility seemingly unrelated to company performance following a number of recent initial public offerings, particularly among companies with relatively smaller public floats. Revise to include a separate risk factor addressing the potential for rapid and substantial price volatility and any known factors particular to your offering that may add to this risk and discuss the risks to investors when investing in stock where the price is changing rapidly. Clearly state that such volatility, including any stock-run up, may be unrelated to your actual or expected operating performance and financial condition or prospects, making it difficult for prospective investors to assess the rapidly changing value of your stock.

Response: We respectfully advise the Staff that we have revised page 37 of the Amended F-1.

Please reach Lawrence Venick, the Company’s outside counsel at +852.5600.0188 if you would like additional information with respect to any of the foregoing. Thank you.

Sincerely,
/s/
Teck Lim CHIA

Show Raw Text
CORRESP
1
filename1.htm

CBL
INTERNATIONAL LIMITED

Suite
19-9-6, Level 9, UOA Centre

No.
19 Jalan Pinang

50450
Kuala Lumpur, Malaysia

Via
Edgar

November
15, 2022

Division
of Corporation Finance

Office
of Trade & Services

U.S.
Securities & Exchange Commission

100
F Street, NE

Washington,
D.C. 20549

Re:
CBL International Ltd (the “Company”)

Amendment
No. 5 to Registration Statement on Form F-1

Filed
November 4, 2022

File
No. 333-267077

Dear
SEC Officers:

We
hereby provide a response to the comments issued in a letter dated November 14, 2022 (the “Staff’s Letter”) regarding
the Amendment No. 5 to the Company’s Registration Statement on Form F-1 (the “Registration Statement”). Contemporaneously,
we are filing the revised Registration Statement via Edgar (the “Amended F-1”).

In
order to facilitate the review by the Commission’s staff (the “Staff”) of the Amended F-1, we have responded to the
comments set forth in the Staff’s Letter on a point-by-point basis. The numbered paragraphs set forth below respond to the Staff’s
comments and correspond to the numbered paragraph in the Staff’s Letter.

Risk
Factors, page 17

    1.
    We
    note recent instances of extreme stock price run-ups followed by rapid price declines and stock price volatility seemingly unrelated
    to company performance following a number of recent initial public offerings, particularly among companies with relatively smaller
    public floats. Revise to include a separate risk factor addressing the potential for rapid and substantial price volatility and any
    known factors particular to your offering that may add to this risk and discuss the risks to investors when investing in stock where
    the price is changing rapidly. Clearly state that such volatility, including any stock-run up, may be unrelated to your actual or
    expected operating performance and financial condition or prospects, making it difficult for prospective investors to assess the
    rapidly changing value of your stock.

Response:
We respectfully advise the Staff that we have revised page 37 of the Amended F-1.

Please
reach Lawrence Venick, the Company’s outside counsel at +852.5600.0188 if you would like additional information with respect to
any of the foregoing. Thank you.

Sincerely,

    /s/
    Teck Lim CHIA

    CBL
    International Limited

    Chief
    Executive Officer

    Encl.