Correspondence 0001213900-23-040597 from RenX Enterprises Corp. (RENX)
RenX Enterprises Corp.
Date: May 16, 2023 · CIK: 0001959023 · Accession: 0001213900-23-040597
AI Filing Summary & Sentiment
File numbers found in text: 001-41581
Referenced dates: May 15, 2023
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CORRESP
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filename1.htm
1271 Avenue of the Americas | New York, New York 10020
Blankrome.com
Phone:
(212) 885-5358
Mobile:
(516) 457-4238
Fax:
(917) 332-3824
Email:
Leslie.Marlow@Blankrome.com
May 16, 2023
VIA EDGAR
United States Securities
and Exchange Commission
Division of Corporation Finance
100 F Street, N.E.
Washington, D.C. 20549
Attention: Patrick McPhun
Re: Safe and Green Development Corp
Amendment No. 2 to Form 10-12B
Filed May 1, 2023
File No. 001-41581
Dear Mr. McPhun:
On behalf of our client, Safe
and Green Development Corporation (the “Company”), we submit this letter in response to comments from the staff (the
“Staff”) of the Securities and Exchange Commission (the “Commission”) contained in its letter dated
May 15, 2023 (the “Comment Letter”), relating to the above-referenced Amendment No. 2 to Registration Statement on
Form 10-12B (the “Registration Statement”). We are concurrently submitting via EDGAR a revised draft of the Registration
Statement (“Revised Registration Statement No. 3”).
Set forth below in bold are
comments from the Comment Letter. For your convenience, each of the numbered paragraphs below corresponds to the numbered comment in the
Staff’s Comment Letter and includes the caption used in the Comment Letter. Immediately following each comment is the Company’s
response to that comment, including, where applicable, a cross-reference to the location of changes made in the Revised Registration Statement
No. 3 in response to the Staff’s comment. Defined terms used but not otherwise defined herein have the meanings ascribed to such
terms in the Registration Statement.
United States Securities
and Exchange Commission
May 16, 2023
Page 2
Amendment No. 2 to Form 10-12B Risk
Factors, page 13
1. We reissue comment 1. We note that you have made minority interests
in two LLCs and that you may make other minority investments. Therefore, please provide risk factor disclosure regarding the risk that
you may be required to comply with the registration requirements of the Investment Company Act of 1940, or provide a detailed analysis
as to why you believe this is not a material risk to the company.
Response: We have added
risk factor disclosure regarding the risk that we may be required to comply with the registration requirements of the Investment Company
Act of 1940.
Business, page 44
2. We note your response to comment 4 and reissue. Please provide
clear and specific disclosure of any conflicts of interest that may exist after the distribution based upon the numerous arrangements
and/or agreements between the parties. We note that a company through which you own a 10% non-dilutable interest is obligated to hire
SG Echo, so long as they are offering their services at a price that is within 5% of all arm's length bona fide bids. We note that this
obligation could relate to this entity paying a higher price than you could obtain from an unrelated third party. Please add risk factor
disclosure to address the risks associated with conflicts of interest.
Response: We have added disclosure in the
Business section regarding the conflicts of interest that may exist after the distribution based upon the numerous arrangements and/or
agreements between the parties and added risk factor disclosure associated with the conflicts of interest.
3. We note your response to comment 5. We note your disclosure
regarding anticipated development of a factory. Please disclose the anticipated cost to you to develop the factory and clarify how you
plan to fund this endeavor.
Response: We have added
disclosure regarding the anticipated cost to develop the factory and our plan to fund the project.
* * *
United States Securities
and Exchange Commission
May 16, 2023
Page 3
If you have any questions
or need additional information, please contact the undersigned at (212) 885-5358 or (516) 496-2223.
Sincerely,
/s/ Leslie Marlow
Leslie Marlow
cc: David Villarreal
CEO, Safe and Green Development Corporation