THE LAW OFFICES OF
THOMAS C. COOK
ATTORNEY AND COUNSELOR AT LAW
10470 W. CHEYENNE AVENUE, SUITE 530, PMB 303
LAS VEGAS, NEVADA 89129
(702) 524-9151
tccesq@aol.com
January 19, 2021
Jason L. Drory
Division of Corporation Finances
Office of Life Sciences
United States Securities and Exchange Commission
Washington, D.C. 20549
Re: Limitless Venture Group, Inc.
Offering Statement on Form 1-A
Post-Qualification Amendment No. 1
Filed December 30, 2020
File No. 024-11128
Dear Mr. Drory,
The undersigned counsel represents the interests of Limitless Venture Group, Inc. We are in receipt of your letter dated January 11, 2021. Below is our response to your comments:
1. Please note that your financial statements should contain a complete set of annual financial statements for your two most recently completed fiscal year-ends. Refer to sections (b)(3) and (b)(4) of Part F/S of Form 1-A. for guidance and revise your offering circular accordingly.
Answer: We have revised our offering statement to contain a complete set of annual financial statements for our two most recently completed fiscal year ends as you have requested.
Also, please note that there is no participant in our offering that is required to clear its compensation arrangements with FINRA.
Should you have any further questions or comments, please do not hesitate to contact me at the number and address above.
Sincerely,
/s/ Thomas C. Cook
Thomas C. Cook, Esq.