December 31, 2014
Securities and Exchange Commission
Division of Corporation Finance
Washington DC 20549
Attention: Mr. John Cash
Re:
Ameri Metro, Inc.
Form 10-K for the Fiscal Year Ended July 31, 2014
Filed November 13, 2014
File No. 0-54546
Dear Mr. Cash:
We are in receipt of your communication dated December 19th, 2014. In that letter one of the items requested from us is:
1. We note your response to comment three from our letter dated November 24, 2014. Please apply in writing for a continuing hardship exemption from the requirement to provide interactive data if you cannot do so without undue burden or expense. Please refer to Rule 202 of Regulation S-T, as well as to the Commission’s website, http://www.sec.gov/info/edgar/cfedgarguidance.htm.
The Company herby applies for a continuing hardship exemption from the requirement to provide interactive data. The company is currently below the revenues threshold of $250 million, and as you may be aware, the House Financial Services Committee approved legislation that would exempt companies with less than $250 million in annual revenue from having to file their financial reports in Extensible Business Reporting Language, or XBRL. Requiring our Company to report these exhibits would put a financial hardship on the Company at this stage of its Revenue. A cost-benefit analysis shows that currently the benefits to issuers outweigh the costs. Currently our stocks are not being traded in the open market.
We respectfully, request the SEC to waive this requirement for our company, until such time, when the Company is revenue producing and ready to launch its IPO in the public market.
Sincerely,
By: /s/NareshMirchandani
Naresh Mirchandani
Chief Financial Officer