NEW YORK
LONDON
SINGAPORE
PHILADELPHIA
CHICAGO
WASHINGTON, DC
SAN FRANCISCO
SILICON VALLEY
SAN DIEGO
BOSTON
HOUSTON
LOS ANGELES
HANOI
HO CHI MINH CITY
ATLANTA

FIRM and AFFILIATE OFFICES

 

 

 

 

 

www.duanemorris.com

BALTIMORE
WILMINGTON
MIAMI
BOCA RATON
PITTSBURGH
NEWARK
LAS VEGAS
CHERRY HILL
LAKE TAHOE
MYANMAR
OMAN

A GCC REPRESENTATIVE OFFICE
OF DUANE MORRIS

 

MEXICO CITY
ALLIANCE WITH
MIRANDA & ESTAVILLO

 

October 2, 2020

 

VIA EDGAR AND FEDEX

 

Division of Corporation Finance

Securities and Exchange Commission

100 F Street, N.E.

Washington, D.C. 20549

 

ReVirios Therapeutics, LLC
  Amendment No. 2 to Registration Statement on Form S-1
  Filed September 25, 2020
  File No. 333-248447

 

On behalf of our client, Virios Therapeutics, LLC (the “Registrant”), we are responding to the comment of the staff (the “Staff”) of the Securities and Exchange Commission (the “Commission”) contained in its letter dated October 1, 2020 (the “Comment Letter”) relating to the above referenced Amendment No. 2 to Registration Statement on Form S-1 (the “Registration Statement”).

 

Set forth below are the Registrant’s response to the Staff’s comment. The numbering of the paragraph below corresponds to the numbering of the Staff’s comment in the Comment Letter, which for your convenience we have incorporated into this response letter.

 

For the Staff’s convenience, we are submitting copies of this letter and a copy of the Registration Statement marked to show all changes from the Registration Statement via email.

 

 

 

 

Division of Corporation Finance

Securities and Exchange Commission

Page 2 of 2

October 2, 2020

 

Amendment No. 2 to Registration Statement on Form S-1

Cover Page

 

1.Your footnotes to the fee table indicate that you are calculating your registration fee base on Rule 457(o). However, based on your revised disclosure that you anticipate your offering price could be up to $11.00 per share, it does not appear you have calculated the registration fee based on the maximum aggregate offer price. Please revise your fee table accordingly.

 

The Registrant has revised the cover page of the Registration Statement to update the fee table to properly reflect the maximum aggregate offer price based on the range set forth in the prospectus.

 

Please contact me at (215) 979-1206 with any questions or further comments regarding the Registrant’s responses to the Staff’s comments.

 

  Sincerely,
   
  Duane Morris LLP
   
  /s/ Darrick M. Mix
   
  Darrick M. Mix
   
cc: Greg Duncan, Virios Therapeutics, LLC