Ryan C. Wilkins 949 725 4115 rwilkins@stradlinglaw.com |
Stradling Yocca Carlson & Rauth LLP 660 Newport Center Drive, Suite 1600 Newport Beach, CA 92660-6422 949 725 4000 stradlinglaw.com |
January 31, 2024
SUBMITTED VIA EDGAR
Securities
and Exchange Commission
Division of Corporation Finance
Office
of Manufacturing
100 F Street, N.E.
Washington, D.C. 20549-3628
Attention: | Erin Donahue |
Erin Purnell |
Re: | Expion360 Inc. |
Registration
Statement on Form S-1
Filed January 23, 2024
File No. 333-276663
Responses to Staff comments made by letter dated January 29, 2024
Dear Erin Donahue and Erin Purnell:
Set forth below are the responses of Expion360 Inc. (the “Company”) to comments made by the staff (the “Staff”) of the Securities and Exchange Commission by letter dated January 29, 2024 (the “Comment Letter”), in connection with the Company’s Registration Statement on Form S-1 that the Company filed on January 23, 2024. Concurrent with the submission of this response letter, the Company is filing Amendment No. 1 to its Registration Statement on Form S-1 (as filed, the “Registration Statement”). The Registration Statement has been revised in response to Staff comments made in the Comment Letter.
The Company’s responses are preceded by a reproduction of the corresponding Staff comment as set forth in the Comment Letter. To the extent applicable, each response contains a reference to the page number(s) where the responsive information may be found in the Registration Statement.
Securities and Exchange Commission
Expion360 Inc.
Registration Statement on Form S-1
January 31, 2024
Page 2
Registration Statement on Form S-1 filed January 23, 2024
General
1. | Please update your director compensation table for the fiscal year ended December 31, 2023. |
Company Response:
The Company acknowledges the Staff’s comment and respectfully advises that is has updated the director compensation table on page 61 of the Registration Statement for the fiscal year ended December 31, 2023.
2. | We note that you incorporate information by reference into your registration statement. However, since you have not filed your Form 10-K for the fiscal year ended December 31, 2023, you are not eligible to incorporate by reference. See General Instruction VII.C of Form S-1. Please amend the registration statement to either remove references to incorporation by reference, or file your Form 10-K for the fiscal year ended December 31, 2023, and update accordingly. |
Company Response:
The Company acknowledges the Staff’s comment and respectfully advises the Staff that it has amended the Registration Statement to remove references to incorporation by reference. Revisions have been made to pages 29, 30, and 88 in the Registration Statement.
* * * * *
Securities and Exchange Commission
Expion360 Inc.
Registration Statement on Form S-1
January 31, 2024
Page 3
Should the Staff have additional questions or comments regarding any of the foregoing, please do not hesitate to contact the undersigned via telephone at (949) 725-4115 or via email at rwilkins@stradlinglaw.com, or in his absence, Amanda McFall via telephone at (949) 725-4029 or via email at amcfall@stradlinglaw.com.
Sincerly,
/s/ Ryan C. Wilkins
Ryan C. Wilkins, Esq.
Partner
Chair, Corporate & Securities Practice
STRADLING YOCCA CARLSON & RAUTH LLP
cc: Expion360
Inc.
Brian Schaffner, Chief Executive Officer
Stradling
Yocca Carlson & Rauth LLP
Amanda McFall, Esq.