NEWLAN LAW FIRM, PLLC
2201 Long Prairie Road – Suite 107-762
Flower Mound, Texas 75022
940-367-6154
January 14, 2022
Kara Wirth
Office of Trade & Services
Division of Corporation Finance
Securities and Exchange Commission
100 F Street, N.E.
Washington, D.C. 20549
| Re: | SFLMaven Corp. |
| | Offering Statement on Form 1-A |
| | Filed December 16, 2021 |
| | Commission File No. 024-11753 |
Dear Ms. Wirth:
This is in response to the letter of comment of the Staff dated January 5, 2022, relating to the captioned Offering Statement on Form 1-A of SFLMaven Corp. (the “Company”). The comments of the Staff are addressed below.
Upon receipt of the Staff’s letter of comment, and with the guidance of the Staff’s specific comments therein, management of the Company was compelled to research and investigate its crpytocurrency and NFT business plans (the “Digital Asset Business”), as described in its original filing.
As the result of these efforts, management has determined that the Company does not possess the expertise to engage properly in the Digital Asset Business. Based on this determination, management has abandoned its plans to enter the Digital Asset Business, in favor of further developing its core business, the sale of luxury goods. Please be advised that the Company has not taken any action with respect to the Digital Asset Business. Accordingly, the disclosure in the amended Offering Statement has been revised to reflect management’s determination.
Please feel free to contact the undersigned at (940) 367-6154, should you have any questions regarding any of the Company’s response.
We believe the Company’s Offering Statement is now in order for Qualification.
| Thank you for your attention in this matter. |
| |
| Sincerely, |
| NEWLAN LAW FIRM, PLLC |
| |
| |
| By: /s/ Eric Newlan |
| Eric Newlan |
| Managing Member |
cc: SFLMaven Corp.