0001493152-23-043736.txt : 20240130 0001493152-23-043736.hdr.sgml : 20240130 20231205171251 ACCESSION NUMBER: 0001493152-23-043736 CONFORMED SUBMISSION TYPE: CORRESP PUBLIC DOCUMENT COUNT: 1 FILED AS OF DATE: 20231205 FILER: COMPANY DATA: COMPANY CONFORMED NAME: Roma Green Finance Ltd CENTRAL INDEX KEY: 0001945240 STANDARD INDUSTRIAL CLASSIFICATION: SERVICES-MANAGEMENT CONSULTING SERVICES [8742] ORGANIZATION NAME: 07 Trade & Services IRS NUMBER: 000000000 STATE OF INCORPORATION: E9 FISCAL YEAR END: 0331 FILING VALUES: FORM TYPE: CORRESP BUSINESS ADDRESS: STREET 1: FLAT 605, 6/F, TAI TUNG BUILDING STREET 2: 8 FLEMING ROAD, WAN CHAI CITY: HONG KONG STATE: K3 ZIP: 000 BUSINESS PHONE: (852) 2529 6878 MAIL ADDRESS: STREET 1: FLAT 605, 6/F, TAI TUNG BUILDING STREET 2: 8 FLEMING ROAD, WAN CHAI CITY: HONG KONG STATE: K3 ZIP: 000 CORRESP 1 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

 

December 5, 2023

 

U.S. Securities and Exchange Commission

100 F Street, N.E.

Washington, D.C. 20549

Attn: Kate Beukenkamp

 

Re:

 

Roma Green Finance Ltd

Amendment No. 3 to Registration Statement on Form F-1

Submitted November 24, 2023

File No. 333-272555

 

Dear Ms. Beukenkamp,

 

Please accept this letter as the response of Roma Green Finance Ltd (“Registrant” or “Company”) to the comments of the staff (the “Staff”) of the Securities and Exchange Commission (the “Commission”) with respect to Amendment No. 3 to the Company’s Registration Statement on Form F-1 filed with the Commission on November 24, 2023 (the “Registration Statement”). The Company is concurrently filing with the Commission Amendment No. 4 to the Registration Statement (the “Revised Registration Statement”), which includes changes in response to the Staff’s comments.

 

For your convenience, the comments have been reproduced below, followed by the Registrant’s response.

 

Amendment No. 3 to Form F-1 filed November 24, 2023

 

Exhibits

 

  1. Please have counsel revise Exhibit 5.1 to opine on the correct number of shares being offered by the company and each of the selling shareholders. Please also explain why counsel has included the shares to be sold by Top Elect in the underwritten offering within the definition of “IPO Shares.” Because such shares are currently outstanding, counsel should opine that these shares are (as opposed to “will be”) validly issued, fully-paid and non-assessable. Please also fill in the brackets contained in the opinion, as it appears that this is the final, signed opinion of counsel.
     
    Response:
     
    A revised opinion is included in the Revised Registration Statement in response to this comment.
     
  2. Please tell us why the scope of Opinion 5.2 is limited to compliance with Hong Kong laws from 1 April 2021 to 31 March 2023, as specified in paragraph B.
     
    Response:
     
    A revised opinion is included in the Revised Registration Statement in response to this comment to cover the period from April 1, 2021 through November 30, 2023. The opinion is limited to November 30, 2023 based upon the date of the searches Robertsons was required to obtain to issue the opinion.

 

 

 

 

  3. Please have counsel revise exhibit 8.2 to remove the language stating that the opinion may not be relied upon by any other persons or corporate entities other than  Nasdaq. Purchasers of securities in the offering are entitled to rely on the opinion. Please also have counsel execute the opinion.
     
    Response:
     
    A revised opinion is included in the Revised Registration Statement in response to this comment.
     
  4. Please have counsel revise Exhibit 23.5 to consent to the filing of counsel’s opinion as an exhibit to the registration statement. This exhibit consents only to the filing of the consent as an exhibit.  
     
    Response:
     
    A revised consent is included in the Revised Registration Statement in response to this comment

 

The Company respectfully requests the Staff’s assistance in completing its review of the Revised 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: Roma Green Finance Limited