United States securities and exchange commission logo January 31, 2024 Gavin Michael Chief Executive Officer Bakkt Holdings, Inc. 10000 Avalon Boulevard, Suite 1000 Alpharetta, GA 30009 Re: Bakkt Holdings, Inc. Registration Statement on Form S-3 Filed April 21, 2023 Response Dated November 19, 2024 File No. 333-271361 Dear Gavin Michael: We have reviewed your January 19, 2024 response to our comment letter and have the following comments. In some of our comments, we may ask you to provide us with information so we may better understand your disclosure. Please respond to this letter by amending your registration statement and providing the requested information. If you do not believe a comment applies to your facts and circumstances or do not believe an amendment is appropriate, please tell us why in your response. After reviewing any amendment to your registration statement and the information you provide in response to this letter, we may have additional comments. Unless we note otherwise, any references to prior comments are to comments in our January 11, 2024 letter. Response Dated January 19, 2024 General 1. We reissue comment 3 of our letter dated June 12, 2023, in part. Please revise to disclose whether and how the recent completion of Ethereum s transition to Proof-of-Stake consensus has impacted your analysis, if any, of whether a particular crypto asset that you make available on your platform is a security within the meaning of Section 2(a)(1) of the Securities Act. Gavin Michael FirstName LastNameGavin Michael Bakkt Holdings, Inc. Comapany January 31,NameBakkt 2024 Holdings, Inc. January Page 2 31, 2024 Page 2 FirstName LastName Annex A A crypto asset's status as a "security" in any relevant jurisdiction..., page 11 2. We note your response to comment 13. Please revise your disclosure to identify the risk that you could be subject to judicial or administrative sanctions for acting as a clearing agency without appropriate registration. Liquidity Providers, page 22 3. Refer to your proposed disclosures on page 22 of Annex A. At the bottom of page 22, you state that Bakkt Crypto settles with its liquidity providers on a daily or other post-trade, non-real- time basis...." Please revise to clarify the frequency that, or the circumstances under which, Bakkt Crypto settles with its liquidity providers at a frequency other than daily or intra-day, and discuss any risks associated with settling less frequently than daily. Custody Services for the Crypto Assets Supported for Trading, page 23 4. Your response to comment 11 indicates, among others, that all of the keys for the cold wallets BitGo has established to hold Bakkt Crypto assets are held by BitGo and stored in cold storage. However, we also note your proposed disclosure on page 23 of Annex A that "[u]nder the BitGo Custody Agreement, BitGo, at Bakkt Crypto s direction, establishes and maintains wallets for the storage of crypto assets, including cold wallets where BitGo holds a majority of the keys and a majority of those keys are stored offline..." (emphasis added). Please explain this apparent inconsistency and revise your disclosure as necessary. Please contact David Lin at 202-551-3552 or Sandra Hunter Berkheimer at 202-551-3758 with any questions. Sincerely, Division of Corporation Finance Office of Crypto Assets cc: Matt Lyons