Mail Stop 6010


							May 24, 2005



VIA U.S. MAIL AND FAX (408) 830-9531

Mr. Robert G. Gargus
Chief Financial Officer
Silicon Image, Inc.
1060 East Arques Avenue
Sunnyvale, California 94085

	Re:	Silicon Image, Inc.
		Form 10-K for the year ended December 31, 2004
		Form 8-K dated January 25, 2005
		Form 8-K dated April 21, 2005


Dear Mr. Gargus:

      We have reviewed your response dated May 16, 2005 and have
the
following comments.  We have limited our review to only your
financial statements and related disclosures and will make no
further
review of your documents.  Where indicated, we think you should
revise future documents in response to these comments.  If you
disagree, we will consider your explanation as to why our comments
are inapplicable or a revision is unnecessary.  Please be as
detailed
as possible in your explanations.  In our comments, we asked 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.

	We welcome any questions you may have about our comment or on
any other aspect of our review.  Feel free to call us at the
telephone numbers listed at the end of this letter.



Form 8-K dated April 21, 2005

1. We note that your response to our prior comment 5 and see that
you
have deleted the pro forma statement of operations.  However, we
note
you continue to include a discussion of pro forma net income and
pro
forma net income per share. Since you have retained certain non-
GAAP
measures you must provide statements disclosing the reasons why
management believes presentation of each of the individual non-
GAAP
measures provide useful information to investors regarding your
financial condition and results of operations.  Those disclosures
should be specific and substantive to each measure.  Revise your
Forms 8-K in future periods to provide all of the disclosures
required by Item 10(e)(1)(i) for each non-GAAP measure presented.
See also Question 8 of the FAQ Regarding the Use of Non-GAAP
Financial Measures, dated June 13, 2003.  Please provide us with a
full sample of your proposed disclosure.

2. Further, we note that you refer to your non-GAAP information as
"pro forma" results. The pro forma terminology has very specific
meaning in accounting literature, as indicated by Article 11 of
Regulation S-X. Please revise your presentation in future filings
to
omit the pro forma terminology when referring to your non-GAAP
information.

* * * * * * * *

      As appropriate, please respond to these comments within 10
business days or tell us when you will provide us with a response.
Furnish a cover letter that keys your responses to our comments
and
provides any requested supplemental information.  Detailed cover
letters greatly facilitate our review.  Please file your cover
letter
on EDGAR.  Please understand that we may have additional comments
after reviewing your responses to our comments.

      You may contact Julie Sherman, Staff Accountant, at (202)
551-
3640, Kevin Vaughn at (202) 551-3643 or me at (202) 551-3327 if
you
have any questions regarding these comments.



								Sincerely,



								Michele Gohlke
								Branch Chief


Mr. Robert G. Gargus
Silicon Image, Inc.
May 24, 2005
Page 3