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ContextLogic Holdings Inc.
Response Received
2 company response(s)
High - file number match
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Summary
| Date | Type | Company | Location | File No | Link |
|---|---|---|---|---|---|
| 2025-06-17 | Company Response | ContextLogic Holdings Inc. | DE | N/A | Read Filing View |
| 2025-05-27 | Company Response | ContextLogic Holdings Inc. | DE | N/A | Read Filing View |
| 2025-04-28 | SEC Comment Letter | ContextLogic Holdings Inc. | DE | 333-286589 | Read Filing View |
| Date | Type | Company | Location | File No | Link |
|---|---|---|---|---|---|
| 2025-04-28 | SEC Comment Letter | ContextLogic Holdings Inc. | DE | 333-286589 | Read Filing View |
| Date | Type | Company | Location | File No | Link |
|---|---|---|---|---|---|
| 2025-06-17 | Company Response | ContextLogic Holdings Inc. | DE | N/A | Read Filing View |
| 2025-05-27 | Company Response | ContextLogic Holdings Inc. | DE | N/A | Read Filing View |
2025-06-17 - CORRESP - ContextLogic Holdings Inc.
CORRESP
1
filename1.htm
CORRESP
2648 International Blvd., Ste 115 Oakland, CA 94601 (415) 965-8476 June 17, 2025 VIA EDGAR U.S. Securities and Exchange Commission Division of Corporation Finance 100 F Street, N.E. Washington, DC 20549 Re: Easter Parent, Inc. Registration Statement on Form S-4 (File No. 333-286589) Originally filed on May 23, 2025, as amended Acceleration Request Ladies and Gentlemen: Easter Parent, Inc. hereby requests that the Commission take appropriate action to cause the above-captioned Registration Statement on Form S-4, as amended, to become effective at 4:30 p.m., Eastern Standard time, on June 18 , 2025, or as soon thereafter as possible. We respectfully request that we be notified of the effectiveness of the Registration Statement by telephone call to David A. Curtiss of Schulte Roth & Zabel LLP at (212) 756-2000. Questions or comments regarding any matters with respect to the Registration Statement may also be directed to David A. Curtiss at the phone number above. We appreciate your assistance and cooperation in this matter. Sincerely,
By:
/s/ Rishi Bajaj
Rishi Bajaj
President and Chairman
Easter Parent, Inc.
cc: David A. Curtiss Schulte Roth & Zabel LLP
2025-05-27 - CORRESP - ContextLogic Holdings Inc.
CORRESP
1
filename1.htm
CORRESP
2648 International Blvd., Ste 115 Oakland, CA 94601 (415) 965-8476 May 27, 2025 VIA EDGAR U.S. Securities and Exchange Commission Division of Corporation Finance 100 F Street, N.E. Washington, DC 20549 Re: Easter Parent, Inc. Registration Statement on Form S-4, as amended (File No. 333-286589) Acceleration Request Ladies and Gentlemen: Easter Parent, Inc. hereby requests that the Commission take appropriate action to cause the above-captioned Registration Statement on Form S-4, as amended, to become effective at 4:30 p.m., Eastern Standard time, on May 28 , 2025, or as soon thereafter as possible. We respectfully request that we be notified of the effectiveness of the Registration Statement by telephone call to David A. Curtiss of Schulte Roth & Zabel LLP at (212) 756-2000. Questions or comments regarding any matters with respect to the Registration Statement may also be directed to David Curtiss at the phone number above. We appreciate your assistance and cooperation in this matter. Sincerely,
By:
/s/ Rishi Bajaj
Rishi Bajaj
President and Chairman
Easter Parent, Inc.
cc: David A. Curtiss Schulte Roth & Zabel LLP
2025-04-28 - UPLOAD - ContextLogic Holdings Inc. File: 333-286589
<DOCUMENT> <TYPE>TEXT-EXTRACT <SEQUENCE>2 <FILENAME>filename2.txt <TEXT> April 28, 2025 Rishi Bajaj Chief Executive Officer Easter Parent, Inc. 2648 International Blvd., Ste 115 Oakland, CA 94601 Re: Easter Parent, Inc. Registration Statement on Form S-4 Filed April 17, 2025 File No. 333-286589 Dear Rishi Bajaj: This is to advise you that we have not reviewed and will not review your registration statement. Please refer to Rules 460 and 461 regarding requests for acceleration. 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. Please contact Isabel Rivera at 202-551-3518 with any questions. Sincerely, Division of Corporation Finance Office of Real Estate & Construction cc: David A. Curtiss </TEXT> </DOCUMENT>