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CORRESP Filing
Radius Recycling CORRESPCorrespondence with SEC
Filed: 3 Jun 14, 12:00am
| John Hancock Tower, 20th Floor | ||
| 200 Clarendon Street | ||
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| Boston, Massachusetts 02116 | |
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| Tel: +1.617.948.6000 Fax: +1.617.948.6001 | |
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| www.lw.com | |
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| FIRM / AFFILIATE OFFICES | |
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| Abu Dhabi | Milan |
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| Barcelona | Moscow |
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| Beijing | Munich |
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| Boston | New Jersey |
June 3, 2014 |
| Brussels | New York |
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| Chicago | Orange County |
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| Doha | Paris |
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| Dubai | Riyadh |
VIA EDGAR AND HAND DELIVERY |
| Düsseldorf | Rome |
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| Frankfurt | San Diego |
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| Hamburg | San Francisco |
Mr. John Reynolds |
| Hong Kong | Shanghai |
Assistant Director |
| Houston | Silicon Valley |
U.S. Securities and Exchange Commission |
| London | Singapore |
Division of Corporation Finance |
| Los Angeles | Tokyo |
100 F Street, N.E. |
| Madrid | Washington, D.C. |
Mail Stop 3720 |
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Washington, D.C. 20549 |
| File No. 049982-0016 |
Re: Radius Health, Inc. Registration Statement on Form S-1 (File No. 333-194150)
Dear Mr. Reynolds:
On behalf of Radius Health, Inc., a Delaware corporation (the “Company”), we are transmitting this letter in response to comments received from the staff (the “Staff”) of the Securities and Exchange Commission by letter dated June 2, 2014 with respect to the Company’s Registration Statement on Form S-1 (File No. 333-194150), as amended. The bold and numbered paragraph below corresponds to the numbered paragraph in the Staff’s letter and is followed by the Company’s response. For the Staff’s convenience, we are also sending, by courier, copies of this letter.
Exhibits
1. Exhibit 10.151 appears to be missing exhibits, schedules and/or attachments. Please file this agreement in its entirety with you next amendment in accordance with Item 601(b)(10) of Regulation S-K.
Response:
The Company respectfully acknowledges the Staff’s comment and advises the Staff that the document attached as Exhibit 10.151 is complete as filed. The Company further advises the Staff that the actual lease incorrectly labels the attached exhibits. The actual exhibit labeled “Exhibit G List of Mortgages” should have been labeled “Exhibit H List of Mortgages,” and the actual exhibit labeled “Exhibit H Broker Determination of Prevailing Market Rent” should have been labeled “Exhibit I Broker Determination of Prevailing Market Rent,” in each case to correspond correctly with the exhibit index identified in Section 1.3 of the agreement. In light of the foregoing, the Company confirms that Exhibit 10.151, as filed, includes all exhibits, schedules and attachments.
If you have any questions regarding the foregoing response, please do not hesitate to contact Peter Handrinos by telephone at (617) 948-6060 or me by telephone at (714) 755-8181.
| Very truly yours, | |
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| /s/ B. Shayne Kennedy | |
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| B. Shayne Kennedy | |
| of LATHAM & WATKINS LLP | |
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cc: | B. Nicholas Harvey, Radius Health, Inc. |
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| Peter N. Handrinos, Latham & Watkins LLP |
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