Correspondence 0001493152-24-044669 from MASTERBEEF GROUP (MB)
MASTERBEEF GROUP
Date: Nov. 12, 2024 · CIK: 0002027265 · Accession: 0001493152-24-044669
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filename1.htm
SCHLUETER
& ASSOCIATES, P.C.
5655
SOUTH YOSEMITE STREET, SUITE 350
GREENWOOD
VILLAGE, CO 80111
TELEPHONE:
+1-303-292-3883
FACSIMILE:
+1-303-648-5663
Email:
hfs@schlueterintl.com
VIA
EDGAR
November
12, 2024
U.S.
Securities and Exchange Commission
100
F Street, N.E.
Washington,
D.C. 20549
Attn:
Alyssa Wall
Re:
MasterBeef
Group
Amendment
No. 2 to Draft Registration Statement on Form F-1
Submitted
September 30, 2024
CIK
No. 0002027265
Dear
Ms. Wall,
Please
accept this letter as the response of MasterBeef Group (the “Registrant” or “Company”) to the comments
of the staff (the “Staff”) of the U.S. Securities and Exchange Commission (the “Commission”) with
respect to Amendment No. 2 to Draft Registration Statement on Form F-1 confidentially submitted with the Commission on September 30,
2024 (the “Draft Registration Statement”). The Company is concurrently live filing the Registration Statement (the
“Registration Statement”), which includes amendments in response to the Staff’s comments on the Draft Registration
Statement.
For
your convenience, the Staff’s comments have been reproduced below, followed by the Registrant’s response.
Amendment
No. 2 to Draft Registration Statement on Form F-1
Risks
Related to Doing Business in Hong Kong
The
PRC government may intervene or influence our operations at any time..., page 27
1.
Please
remove language stating or implying that you are not a China-based issuer. In this regard, we note that while you primarily operate
in Hong Kong, the risks applicable to entities operating in China could have ramifications on your business if it were to become
subject to PRC laws/authorities. We note this risk factor contemplates potential PRC intervention or influence over “Hong Kong-based
issuers.” Please revise.
Response:
The Registrant has revised its disclosure on page 27 of the Registration Statement in response to this comment.
Regulations,
page 88
2.
We
note your response to comment 9 and reissue. Please revise your disclosure to clearly state whether you, the registrant, are in compliance
with all applicable laws and regulations, including whether you have received all applicable licenses. Please also update your related
risk factor on page 21 accordingly. In this regard, we note your disclosure regarding the licensing and compliance of your Hong Kong
Operating Subsidiaries.
Response:
The Registrant has revised its disclosure on pages 21 and 88 of the Registration Statement in response to this comment. The Registrant
is a holding company incorporated in the Cayman Islands, and it conducts operations through its Hong Kong Operating Subsidiaries. As
a holding company with no material operations of its own, the Registrant is not required to hold any licenses and is in compliance with
all applicable laws and regulations.
Resale
Prospectus Alternate Page, page Alt-1
3.
We
note your response to comment 12. Please further expand your disclosure to clearly state the price that each Resale Shareholder paid
for the shares being registered for resale. In this regard, we note your amended disclosure appears to state total consideration
for the transfers was $1,920,000.
Response:
The Registrant has revised its disclosure on page 114 of the Registration Statement in response to this comment.
4.
Revise
to ensure that your resale prospectus cover page conveys the same information about the risks of investing in a Hong Kong business
as your firm commitment offering cover page.
Response:
The Registrant has revised its resale prospectus cover page of the Registration Statement in response to this comment.
Please
note that the Company has included its historical financial information for the six months ended June 30, 2024 and as at June 30, 2024
in the Registration Statement. The Company respectfully requests the Staff’s assistance in completing its review of the Registration
Statement as soon as possible. If you have any questions regarding the foregoing or desire further information or clarification, please
do not hesitate to contact the undersigned at (303) 868-3382.
Thank
you for your review.
Very
truly yours,
/s/ Henry
F. Schlueter
Henry
F. Schlueter
C:
MasterBeef
Group