Correspondence 0001213900-25-035462 from MEDICAL EXERCISE INC. (CIK 0002001249)
MEDICAL EXERCISE INC. (CIK 0002001249)
Date: April 25, 2025 · CIK: 0002001249 · Accession: 0001213900-25-035462
AI Filing Summary & Sentiment
File numbers found in text: 333-284522
Referenced dates: April 23, 2025
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SCOTT
D. OLSON esq.
Attorney at Law
274 BROADWAY
COSTA MESA, CA 92627
M. 310.985.1034
E. SDOESQ@GMAIL.COM
April 25, 2025
United States Securities and Exchange Commission
Division of Corporation Finance
Office of Industrial Applications and Services
100 F Street, N.E.
Washington, DC 20549
Attention: J. Conlon Danberg
Re:
Medical Exercise Inc.
Amendment No. 2 to Registration Statement on Form S-1
Filed March 31, 2025
File No. 333-284522
Ladies and Gentlemen:
This letter sets forth the responses of Medical
Exercise Inc. ("Company") to the comments of the reviewing Staff of the Securities and Exchange Commission (the “Staff”)
in connection with the above referenced filing as set forth in the comment letter dated April 23, 2025.
Amendment No. 2 to Form S-1 filed April 21, 2025
Medical Exercise Inc.'s Technology and Treatment, page 28
1. We note your revised disclosure in response to prior comment 4 and reissue the comment. You state here that Medical Exercise Inc.’s
Lumbar and Cervical Extension Machines are "backed by extensive research" and are "proven to help clients strengthen their
spinal muscles, even after other treatments have failed." Please expand your disclosure relating to this extensive research by discussing
it directly in the prospectus rather than providing a link to information on MedX's website.
Response: We have revised the prospectus to remove the references
to the claims of extensive research and treatment results, and expanded and clarified our disclosures regarding the use and purpose of
the MedX Lumbar and Cervical Extension Machines.
Conclusion:
We have carefully reviewed the Staff's comments and has made the necessary
amendments to the Registration Statement as detailed in this response letter. We believe the Registration Statement, as amended,
now accurately reflects our business, financial condition, and results of operations and complies with all applicable SEC regulations.
SCOTT D. OLSON esq.
Acceleration Request:
We hereby request that the Staff accelerate the effective date of the
registration statement to April 30, 2025 or as soon as practicable thereafter. We have fully addressed all comments raised by the
Staff and believe the registration statement is now complete and ready for effectiveness.
We appreciate the Staff's review and are available to discuss any further
questions you may have.
Sincerely,
/s/ Scott Olson
Scott D. Olson, Esq.