July 10, 2015
Via EDGAR
Securities and Exchange Commission
100 F Street, NE
Washington, D.C. 20549
Attention: | | Craig Wilson, Senior Assistant Staff Accountant |
| | Amanda Kim, Staff Accountant |
Re: | | SITO Mobile, Ltd. |
| | Form 10-K for the fiscal year ended September 30, 2014 |
| | Filed December 2, 2014 |
| | File No. 000-53744 |
Ladies and Gentlemen:
SITO Mobile, Ltd. (the "Company") hereby responds to the Staff's comment raised in the Staff’s letter dated March June 8, 2015. For ease of reference, the Staff's comment is reproduced below in its entirety, and the Company's response immediately follows.
Form 10-K for the fiscal year ended September 30, 2014
Item 15. Exhibits, Financial Statement Schedules, page 39
1. We note in your response to prior comment no. 1 that on 4/2/15, you filed anamendment to your Form 8-K to include the latest required interim period (unaudited) thatpreceded the acquisition as part of your pro forma information. Please provide the latestrequired interim period (unaudited) that preceded the acquisition with the correspondinginterim period of the preceding year (unaudited) or tell us why you believe such informationis not required. We refer you to Rule 8-04 and 8-05 of Regulation S-X as well as Item9.01 of Form8-K.
Response: Simultaneously with the filing of this letter, the Company has filed an amendment to its Form 8-K to include the required financial statements for the nine months ended June 30, 2013.
Should you have any questions or comments with respect to the foregoing, please contact Marcelle S. Balcombe of Sichenzia Ross Friedman Ference LLP, at 212-930-9700.
| Very truly yours, |
| |
| /s/ Kurt Streams |
| |
| Kurt Streams |
| Chief Financial Officer |