Correspondence 0001575872-23-001236 from Northann Corp. (NCL)
Northann Corp.
Date: July 27, 2023 · CIK: 0001923780 · Accession: 0001575872-23-001236
AI Filing Summary & Sentiment
File numbers found in text: 333-273246
Referenced dates: July 25, 2023
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CORRESP
1
filename1.htm
NORTHANN
CORP.
9820
Dino Drive, Suite 110
Elk
Grove, CA 95624
July
27, 2023
Via
Edgar Correspondence
Division
of Corporation Finance
Office
of Manufacturing
U.S.
Securities Exchange Commission
100
F Street, NE
Washington,
D.C., 20549
Attn:
Beverly Singleton
Martin
James
Alexander
King
Geoff
Kruczek
Re:
Northann
Corp. (the “Company”)
Registration
Statement on Form S-1
Submitted
July 14, 2023
File
No. 333-273246
To
whom it may concern:
This
letter is in response to the letter dated July 25, 2023 from the staff (the “Staff”) of the U.S. Securities Exchange Commission
(“SEC”) addressed to Northann Corp. (the “Company”, “we”, and “our”). For ease of reference,
we have recited SEC’s comments in this response and numbered them accordingly. An amended registration statement on Form S-1 (the
“Amendment No.1 to the Registration Statement”) is being submitted to accompany this letter.
Registration
Statement on Form S-1 Submitted July 14, 2023
Exhibits
1)
Refer
to Exhibit 23.1. We note your revisions made in response to prior comment 3. Please further revise to clarify in the first sentence
of the first paragraph that the auditors consent to the inclusion of their report dated March 31, 2023, with the exception to Notes
16 and 18 for which the date is July 14, 2023. The current disclosures states the incorporation of reference of their report dated
July 14, 2023. Also, please ensure the consent refers to the correct amended filing on Form S-1, as we note the current disclosure
states Amendment No. 6 to the Form S-1.
RESPONSE:
We note the Staff’s comment, and in response hereto, respectfully advise the Staff that we included an updated consent of independent
registered public to the Amendment No.1 to the Registration Statement.
2)
We note your response
to our previous comment 4 and reissue in part. The first paragraph on the page preceding the signature page of the opinion appears
to include an impermissible limitation on reliance. Please file a revised opinion.
RESPONSE:
We note the Staff’s comment, and in response hereto, respectfully advise the Staff that the PRC counsel has revised the opinion
and re-file the updated opinion as exhibit 99.1 to the Amendment No.1 to the Registration Statement.
We
hope this response has addressed all of the Staff’s concerns relating to the comment letter. Should you have additional questions
regarding the information contained herein, please contact our securities counsel William S. Rosenstadt, Esq., or Mengyi “Jason”
Ye, Esq. of Ortoli Rosenstadt LLP at wsr@orllp.legal or jye@orllp.legal.
Northann Corp.
/s/
Lin Li
Name:
Lin Li
Title:
Chief Executive Officer