SEC Comment Letter 0000000000-23-006126 to MachTen, Inc. (MACT) (CIK 0001957783) (MACT)
MachTen, Inc. (MACT) (CIK 0001957783)
Date: June 8, 2023 · CIK: 0001957783 · Accession: 0000000000-23-006126
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File numbers found in text: 000-56553
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United States securities and exchange commission logo
June 8, 2023
Daniel Miller
Chief Executive Officer
MachTen, Inc.
1516 Barlow Street, Suite D
Traverse City, MI
Re:MachTen, Inc.
Registration Statement on Form 10-12G
Filed May 15, 2023
File No. 000-56553
Dear Daniel Miller:
We have reviewed your filing and have the following comments. In some of our
comments, we may ask you to provide us with information so we may better understand your
disclosure.
Please respond to these comments within ten business days by providing the requested
information or advise us as soon as possible when you will respond. If you do not believe our
comments apply to your facts and circumstances, please tell us why in your response.
After reviewing your response to these comments, we may have additional comments.
Registration Statement on Form 10-12G
Summary
Questions and Answers About the Spin-Off, page 3
1.We note your disclosure that LICT will not hold shares in the company beyond 5 years
from the date of the spin-off. Please clarify whether there is a business reason (e.g.
avoidance of adverse tax consequences) for doing so.
Summary Unaudited Pro Forma Condensed Consolidated Financial Statements, page 10
2.You disclose that the pro forma adjustments are “(i) directly attributable to the
transactions, (ii) factually supportable and (iii) with respect to the statements of
operations, expected to have a continuing impact on the consolidated results of operations
of MAC”. Please revise the disclosures to be consistent with the most recent rules
outlined in Article 11-02 of Regulation S-X, and please confirm that your adjustments are
consistent with these rules.
FirstName LastNameDaniel Miller
Comapany NameMachTen, Inc.
June 8, 2023 Page 2
FirstName LastName
Daniel Miller
MachTen, Inc.
June 8, 2023
Page 2
Risk Factors
Risks Related to Our Business, page 16
3.We note that over half of your revenues are derived from the FCC’s Alternative Connect
America Cost Model (“A-CAM”) program. Please revise the relevant risk factors and
elsewhere as appropriate, by expanding your discussion of the A-CAM program. For
example, please identify the services that you will need to provide to meet the
requirements of the program, identify the steps you have already taken and those which
you will need to meet with respect the build-out of your broadband facilities, and, to the
extent applicable, disclose the material terms of any agreements between you and the
FCC.
Risks Related to MAC Common Stock, page 25
4.We note that your forum selection provision identifies the Court of Chancery in the State
of Delaware (or, if the Court of Chancery does not have jurisdiction, the federal district
court for the District of Delaware) as the exclusive forum for actions arising under
the Securities Act or Exchange Act. Please revise your disclosure to state that there is
uncertainty as to whether a court would enforce such provision. Please also state that
investors cannot waive compliance with the federal securities laws and the rules and
regulations thereunder. In that regard, we note that Section 22 of the Securities Act
creates concurrent jurisdiction for federal and state courts over all suits brought to enforce
any duty or liability created by the Securities Act or the rules and regulations thereunder.
5.We note you identified a material weakness in your internal control over financial
reporting. Accordingly, please revise to address what steps have been completed in your
remediation plan to date, including any completed control design and testing procedures,
what still remains to be completed, and revise to update your estimate of the expected
timing of your remediation plan.
Management’s Discussion and Analysis of Financial Condition and Results Of Operations
Results of Operations, page 47
6.We note that your reference "Access Lines" as a key metric and your discussion elsewhere
indicating the recent trend in declining access lines due to a variety of competitive
reasons. Since your business is substantially dependent upon this metric, please expand
where appropriate to how this metric is connected to the future growth of your business,
such as the continuation of the Universal Service Fund programs and your participation
therein.
FirstName LastNameDaniel Miller
Comapany NameMachTen, Inc.
June 8, 2023 Page 3
FirstName LastName
Daniel Miller
MachTen, Inc.
June 8, 2023
Page 3
Notes to the Financial Statements
14. Subsequent Events, page F-22
7.Please revise to disclose the date through which you evaluated subsequent events and
whether the date was when the financial statements were issued or were available to be
issued. Refer to ASC 855-10-50-1.
We remind you that the company and its management are responsible for the accuracy
and adequacy of their disclosures, notwithstanding any review, comments, action or absence of
action by the staff.
You may contact Amanda Kim, Senior Staff Accountant, at (202) 551-3241 or Stephen
Krikorian, Accounting Branch Chief, at (202) 551-3488 if you have questions regarding
comments on the financial statements and related matters. Please contact Kyle Wiley, Staff
Attorney, at (202) 344-5791 or Larry Spirgel, Office Chief, at (202) 551-3815 with any other
questions.
Sincerely,
Division of Corporation Finance
Office of Technology
cc: Elizabeth Gonzalez-Sussman