Cassidy & Associates Attorneys at Law 215 Apolena Avenue Newport Beach, California 92662 ---------- Email: lwcassidy@aol.com Telephone: 949/673-4510 Fax: 949/673-4525 September 1, 2017 United States Securities and Exchange Commission 100 F Street, N.E. Washington, D.C. 20549 Re: Amendment No. 1 to 	 Shamrock Grove Acquisition Corporation 	 File No. 000-55814 Mesdames/Gentlemen: I attach for filing Amendment No. 1 to the Shamrock Grove Acquisition Corporation registration statement on Form 10-12g. The following responses address the comments of the reviewing staff of the Commission as set forth in a comment letter dated August 3, 2017 (the "Comment Letter"). The comments in the Comment Letter are sequentially numbered and the answers set forth herein refer to each of the comments by number and by citing the location of each response thereto in the Registration Statement. General 1. The Staff's comment is noted and the Registrant understands the 	filing requirements once the Form 10 becomes automatically 	effective. Risk Factors 2. The risk factor headings have been made more easily identifiable 	and distinct. The Registrant is filing the document in ASCII 	which format does not provide for bold face or italicized type 	of individual headings or paragraphs. The risk factor texts 	have been indented to make them more readily apparent. Terms of a Business Combination 3. The requested disclosure has been added and appears on page 14. Recent Blank Check Companies 4. The requested disclosure has been added and appears on page 16. 	Management notes, however, that it is not informed or copied with 	any subpoenas issued by the Securities and Exchange Commission and 	only knows of those subpoenas listed because the companies receiving 	such subpoenas notified management. 5. The listing of Recent Blank Check Companies beginning on page 20 has 	been reviewed and revised to update and ensure its accuracy. Management 	is grateful for the assistance provided by the Staff in its review of 	this section. Those changes as well as others have been incorporated. Conflicts of Interest 6. The name Orchid Grove Acquisition Corporation is the correct name as it 	appears on the certificate of incorporation and bylaws. The incorrect 	name appearing on the Edgar system under that CIK number has been 	corrected and the name Orchid Grove Acquisition Corporation should appear 	with the next filing on the Edgar using the assigned CIK number. 	 /s/ Lee Cassidy 				 Cell phone: 202-415-3563