Correspondence 0001213900-23-019234 from Oak Woods Acquisition Corp (OAKU, OAKUR, OAKUU, OAKUW) (CIK 0001945422) (OAKU)
Oak Woods Acquisition Corp (OAKU, OAKUR, OAKUU, OAKUW) (CIK 0001945422)
Date: March 10, 2023 · CIK: 0001945422 · Accession: 0001213900-23-019234
AI Filing Summary & Sentiment
Referenced dates: March 3, 2023
Show Raw Text
CORRESP
1
filename1.htm
March 10, 2023
BY EDGAR FILING
Division of Corporation Finance
Office of Real Estate & Construction
United States Securities and Exchange Commission
100 F Street, NE, Washington, D.C. 20549
RE:
Oak Woods Acquisition Corp.
Draft Registration Statement on Form S-1 Submitted February 17, 2023
CIK No. 0001945422
Amended Filing in Response to Staff Comment Letter Dated March 3, 2023
Dear Staff,
Thank you for your comments on the referenced Draft
Registration Statement filed on February 17, 2022 by Oak Woods Acquisition Corporation (the “Company”) with
the Securities and Exchange Commission (the “Commission”). On behalf of the Company, we hereby transmit, via
EDGAR, an amended Draft Registration Statement on Form S-1/A (“Form S-1/A”) for filing with the Commission,
which has been revised to reflect the Staff’s comments.
The Staff’s comments, reproduced in bold
text below, are followed by responses on behalf of the Company. The responses to the Staff’s comments are provided in the order
in which the comments were set out in your letter and are numbered correspondingly. Page references below in the Company’s responses
are to the page numbers in the Form S-1/A. Unless otherwise noted in this letter, the Company has supplied the information provided in
response to each comment:
Summary
Capitalization, page 117
1.
We note that you determined the private warrants do not meet the criteria for equity treatment outlined in ASC 815-40 and therefore must be accounted for as a liability. Please tell us how you estimated the fair value of the warrants and why no value has been ascribed to the liability in the capitalization table.
In response to Staff’s comment,
the Company will involve a professional valuation firm to assist it in estimation of the fair value of the warrants when it files the
audited balance sheet, enclosed in a Form 8-K, upon successful consummation of initial public offering . The estimation will use
binomial tree methodology. Currently as the Company cannot reliably estimate the fair value of private warrant, we did not ascribed the
value to the liability.
Please direct any comments or questions regarding
this filing to the Company’s counsel, RAITI, PLLC, Attn: Warren A. Raiti: (212) 560-2328; wraiti@raitipllc.com.
Very truly yours,
/s/ Warren A. Raiti
Warren A. Raiti
Managing Attorney