Correspondence 0001493152-24-011104 from Mobile-health Network Solutions (MNDR)
Mobile-health Network Solutions
Date: March 25, 2024 · CIK: 0001976695 · Accession: 0001493152-24-011104
AI Filing Summary & Sentiment
File numbers found in text: 333-277254
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CORRESP
1
filename1.htm
March
25, 2024
VIA
EDGAR
Claire
DeLabar
Robert
Littlepage
Austin
Pattan
Larry
Spirgel
Office
of Technology
Division
of Corporation Finance
Securities
and Exchange Commission
100
F Street, N.E.
Washington,
D.C., 20549
Re:
Mobile-health
Network Solutions
Registration
Statement on Form F-1 (File No. 333-277254)
Request
for Acceleration of Effectiveness
Ladies
and Gentlemen:
In
accordance with Rule 461 of the General Rules and Regulations under the Securities Act of 1933, as amended, Mobile-health Network Solutions
(the “Company”) hereby requests an acceleration of the effectiveness of the above-referenced Registration Statement on Form
F-1 (the “F-1 Registration Statement”), so that such Registration Statement will become effective at 4:00 p.m., Eastern Time,
on March 27, 2024 or as soon thereafter as practicable.
If
there is any change in the acceleration request set forth above, the Company will promptly notify you of the change, in which case the
Company may be making an oral request of acceleration of the effectiveness of the Registration Statements in accordance with Rule 461.
The request may be made by an executive officer of the Company or by any attorney from the Company’s U.S. counsel, Sidley Austin.
The
Company understands that Network 1 Financial Securities, Inc., the underwriter of the offering, has joined in this request in a separate
letter filed with the Securities and Exchange Commission (the “Commission”) today.
The
Company hereby acknowledges the following:
●
should
the Commission or the staff of the Commission (the “Staff”), acting pursuant to delegated authority, declare the filing
effective, it does not foreclose the Commission from taking any action with respect to the filing;
●
the
action of the Commission or the Staff, acting pursuant to delegated authority, in declaring the filing effective, does not relieve
the Company from its full responsibility for the adequacy and accuracy of the disclosure in the filing; and
●
the
Company may not assert Staff comments and the declaration of effectiveness as a defense in any proceeding initiated by the Commission
or any person under the federal securities laws of the United States.
Very
truly yours,
Mobile-health
Network Solutions
By:
/s/
Siaw Tung Yeng
Name:
Siaw
Tung Yeng
Title:
Co-Chief
Executive Officer and Director