Correspondence 0001193125-23-017746 from Oculis Holding AG (OCS, OCSAW) (CIK 0001953530) (OCS)
Oculis Holding AG (OCS, OCSAW) (CIK 0001953530)
Date: Jan. 27, 2023 · CIK: 0001953530 · Accession: 0001193125-23-017746
AI Filing Summary & Sentiment
File numbers found in text: 333-268201
Referenced dates: January 12, 2023
Show Raw Text
CORRESP
1
filename1.htm
CORRESP
Derek Dostal
+1 212 450 4322
derek.dostal@davispolk.com
Davis Polk & Wardwell LLP
450 Lexington Avenue
New York, NY 10017
davispolk.com
January 27, 2023
Re:
Oculis Holding AG
Amendment No. 2 to Registration Statement on
Form F-4
Filed January 6, 2023
File No. 333-268201
U.S. Securities and Exchange Commission
Division of Corporation
Finance
Office of Trade & Services
100 F Street,
N.E.
Washington, D.C. 20549
Attn:
Li Xiao
Daniel Gordon
Daniel Crawford
Ada D. Sarmento
Ladies and Gentlemen:
On behalf of our client, Oculis Holding AG, (the “Company”), this letter sets forth the Company’s responses to the comments provided by
the staff (the “Staff”) of the Division of Corporation Finance of the U.S. Securities and Exchange Commission relating to the Company’s Amendment No. 2 to Registration Statement on
Form F-4 (the “Registration Statement”) contained in the Staff’s letter dated January 12, 2023 (the “Comment Letter”). In response to the comments set forth in
the Comment Letter, the Company has revised the Registration Statement and is filing Amendment No. 3 to the Registration Statement on Form F-4 (“Amendment No. 3”)
together with this response letter. Amendment No. 3 also contains certain additional updates and revisions.
For the convenience of the Staff, each
comment from the Comment Letter is restated in italics prior to the response to such comment. All references to page numbers and captions (other than those in the Staff’s comments) correspond to pages and captions in Amendment No. 3.
Amendment No. 2 to Registration Statement on Form F-4 Filed January 6, 2023
Material Swiss Tax Considerations, page 175
1.
We note that the tax opinion filed as Exhibit 8.2 appears to be a short-form tax opinion. Please revise this
section to clearly identify that the “Material Swiss Tax Considerations” disclosure is the opinion of counsel. Please also file a signed opinion.
Response:
The Company acknowledges the Staff’s comment and has revised the disclosure on page 175 of Amendment
No. 3. The Company has also revised Exhibit 8.2 of Amendment No. 3 as requested.
Executive Officer and Director
Compensation, page 268
2.
Please revise your Executive Officer and Director Compensation section here and on page 292 to update
compensation for the last full financial year.
Response:
The Company acknowledges the Staff’s comment and has revised the disclosure on page 292 of Amendment
No. 3.
Please do not hesitate to contact me at (212) 450-4322 or
derek.dostal@davispolk.com if you have any questions regarding the foregoing or if we can provide any additional information.
Very truly yours,
/s/ Derek Dostal
Derek Dostal
cc
Eduardo Bravo Fernandez de Araoz, Principal Executive Officer
Riad Sherif, Principal Financial and Accounting Officer
Michael Davis, Davis Polk & Wardwell LLP
Michal Berkner, Cooley LLP
Divakar Gupta, Cooley LLP