MAIL STOP 0511

									February 11, 2005

Dr. Earl Abbott
President
AAA Minerals, Inc.
3841 Amador Way
Reno, NV 89502

Re:	AAA Minerals, Inc.
      Registration Statement on Form SB-2
      File No. 333-119848
	Amended January 24, 2005

Dear Mr. Bravo:


      We have reviewed your amended filing and have the following
comments.  Where indicated, we think you should revise your
document
in response to these comments.  If you disagree, we will consider
your explanation as to why our comment is inapplicable or a
revision
is unnecessary.  Please be as detailed as necessary in your
explanation.  In some of our comments, we may ask you to provide
us
with supplemental information so we may better understand your
disclosure.  After reviewing this information, we may or may not
raise additional comments.

      Please understand that the purpose of our review process is
to
assist you in your compliance with the applicable disclosure
requirements and to enhance the overall disclosure in your filing.
We look forward to working with you in these respects.  We welcome
any questions you may have about our comments or on any other
aspect
of our review.  Feel free to call us at the telephone numbers
listed
at the end of this letter.

General

1. Your attention is directed to Item 310(g) of Regulation S-B and
the possible need for updated financial statements and related
disclosures.

2. You are reminded that a currently dated consent of the
independent
accountants with typed signature should be included in any
amendment
to the registration statement.  The consent in Exhibit 23.1 should
be
signed in the name of the firm rather than an individual partner.
Please revise.

Risk Factors

3. We note your response to comment 4 of our January 14, 2005
letter.
However, please elaborate on your statement that ". . . In
addition
to new laws and regulations being adopted, existing laws may be
applied to mining that have not as yet been applied.  For example,
foreign ownership laws that are applicable in certain business
sectors, could be applied to mineral property ownership. . ."
Please
specifically discuss these foreign ownership laws and their
potential
impact on you.

Description of Business

4. We note your supplemental response that you do not have any
relationship with Mr. Nicholson.  Please disclose this in the
prospectus.

5. We note that Mr. Macdonald based his conclusion that further
exploration work is recommended, in part, on the fact that
"anomalous
values" of gold, copper, silver, and barium were discovered from
sampling.  Please explain what you mean by "anomalous values."

6. We note that in your previous amendment you state "Mr.
Macdonald.
.. . recommends an initial program of sampling and mapping.. ." and
".
.. .Sampling  consists of gathering  soil or pieces of rock that
appear to contain  precious metals such as gold and silver,  or
industrial  metals such as copper. All samples gathered will be
sent
to a laboratory where they are crushed and analysed for metal
content. . ."  However, you have deleted these statements in your
most recent amendment.  Please disclose what sampling consists of.

Accountants Report

7. The report of the Chartered Accountants on page 29 should
reference "the standards of the Public Company Accounting
Oversight
Board (United States)," rather than generally accepted auditing
standards.  Please refer to PCAOB Auditing Standard No.1 and SEC
Release No. 33-8422.  Also, please include both the printed name
of
the firm and the authorized signature of the firm.  See Rule 302
of
Regulation S-T and revise accordingly.

Closing Comments

      As appropriate, please amend your registration statement in
response to these comments.  You may wish to provide us with
marked
copies of the amendment to expedite our review.  Please furnish a
cover letter with your amendment that keys your responses to our
comments and provides any requested supplemental information.
Detailed cover letters greatly facilitate our review.  Please
understand that we may have additional comments after reviewing
your
amendment and responses to our comments.

      We direct your attention to Rules 460 and 461 regarding
requesting acceleration of a registration statement.  Please allow
adequate time after the filing of any amendment for further review
before submitting a request for acceleration.  Please provide this
request at least two business days in advance of the requested
effective date.

      You may contact Maureen Bauer at (202) 942-1824 or Tia
Jenkins
at (202) 942-1902 if you have questions regarding comments on the
financial statements and related matters.  Please contact Craig
Slivka at (202) 942-7470 with any other questions.

Sincerely,


      John Reynolds
      Assistant Director
      Emerging Growth Companies