Sophia Hudson, P.C. |
601 Lexington Avenue New York, NY 10022 United States |
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To Call Writer Directly: | Facsimile: | |||
+1 212 446 4750 | +1 212 446 4800 | +1 212 446 4900 | ||
sophia.hudson@kirkland.com | ||||
www.kirkland.com |
February 1, 2021
VIA EDGAR
Securities and Exchange Commission
Division of Corporation Finance
Office of Life Sciences
100 F Street, NE
Washington, D.C. 20549
Attention: | Julie Sherman | |
Kate Tillan | ||
Jason L. Drory | ||
Chris Edwards |
Re: Pharvaris B.V.
Amendment No. 1 to
Registration Statement on Form F-1
Filed January 22, 2021
CIK No. 0001830487
Dear Ms. Sherman, Ms. Tillan, Mr. Drory and Mr. Edwards:
On behalf of our client, Pharvaris B.V. (the Company), we set forth below the Companys responses to the letter, dated January 28, 2021, containing comments of the staff of the Division of Corporation Finance (the Staff) of the Securities and Exchange Commission (the Commission) with respect to the above referenced Amendment No. 1 to Registration Statement on Form F-1 publicly filed with Commission by the Company on January 22, 2021 (the Registration Statement). The Company also hereby further responds to an earlier comment contained in the Staffs letter dated December 9, 2020, on the Companys Draft Registration Statement on Form F-1 confidentially submitted on November 12, 2020.
In order to facilitate your review of our responses, we have restated each of the Staffs comments in these letters, and we have numbered the paragraphs below to correspond to the numbers in the Staffs letters. For your convenience, we have also set forth the Companys response to each of the Staffs comments immediately below the corresponding numbered comment.
Beijing Boston Chicago Dallas Hong Kong Houston London Los Angeles Munich Palo Alto Paris San Francisco Shanghai Washington, D.C.
Securities and Exchange Commission
Division of Corporation Finance
Office of Life Sciences
February 1, 2021
Page 2
In addition, the Company has revised the Registration Statement in response to the Staffs comments and is publicly filing an amendment to the Registration Statement (the Amendment) concurrently with this letter, which reflects these revisions and clarifies certain other information. Page numbers in the text of the Companys responses correspond to page numbers in the Amendment. Unless otherwise indicated, capitalized terms used herein have the meanings assigned to them in the Amendment.
Amendment No. 1 to Registration Statement on Form F-1 publicly filed on January 22, 2021
Material United States and Dutch Income Tax Considerations, page 177
1. | Staffs comment: We note your revised disclosure and your response to comment 5. It appears that you do not intend to file a tax opinion relating to the U.S. tax consequences of this transaction. Please tell us why you have determined that such a tax opinion is not required for this transaction considering, for example, the uncertainty relating to your PFIC status. Alternatively, please file an opinion that addresses U.S. tax matters. Refer to Item 601 of Regulation S-K and Section III.A of Staff Legal Bulletin No. 19. |
Response: In response to the Staffs comment, the Company has revised the disclosure on page 181 of the Amendment.
Draft Registration Statement on Form F-1 submitted November 12, 2020
Use of Proceeds, page 67
11. | Staffs comment: We note your disclosure that you intend to use a portion of the net proceeds to fund the clinical development of PHVS416 and PHVS719. Please revise to specify how far in the clinical development of the associated product candidates you expect to reach with the net proceeds. In this regard, we note that you have a number of clinical trials planned for the associated product candidates. Also, to the extent material amounts of other funds are necessary to accomplish your specified purposes, state the amounts of such other funds and the sources thereof. |
Response: In response to the Staffs comment, the Company has revised the disclosure on page 71 of the Amendment.
Securities and Exchange Commission
Division of Corporation Finance
Office of Life Sciences
February 1, 2021
Page 3
We hope that the foregoing has been responsive to the Staffs comments. If you have any questions regarding this matter, please contact the undersigned at (212) 446-4750 or by e-mail at sophia.hudson@kirkland.com.
Sincerely, |
/s/ Sophia Hudson, P.C. |
Sophia Hudson, P.C. |
VIA E-MAIL
cc: | Berndt Modig | |
Morgan Conn, Ph.D. | ||
Anna Nijdam, MSc RA | ||
Pharvaris B.V. | ||
Jennifer Lee, Esq. | ||
Kirkland & Ellis LLP | ||
Frank F. Rahmani, Esq. | ||
Samir A. Gandhi, Esq. | ||
Sidley Austin LLP | ||
Paul van der Bijl | ||
NautaDutilh N.V. |