Lee W. Cassidy Attorney at Law 215 Apolena Avenue Newport Beach, California 92662 ---------- Email: lwcassidy@aol.com Telephone: 949/673-4510 Fax: 949/673-4525 March 7, 2018 United States Securities and Exchange Commission 100 F Street, N.E. Washington, D.C. 20549 Re: Amendment No. 2 to 	 Snowy Forest Acquisition Corporation 	 File No. 000-55893 Mesdames/Gentlemen: I attach for filing Amendment No. 2 to the Snowy Forest 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 February 15, 2018 (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. 2. The Staff's comment is noted and the Registrant understands the 	filing requirements once the Form 10 becomes automatically 	effective. Risk Factors 3. A new risk factor has been added to the disclosure and appears on 	on page 9. Recent Blank Check Companies 4. The disclosure has been expanded to include the requested 	information as follows: Sandgate Acquisition Corporation 	(Sunstock, Inc.) appears on page 19, Jam Run Acquisition 	Corporation (Blow & Drive Interlock Corporation) appears on 	page 24, River Run Acquisition Corporation (Chess Supersite 	Corporation) page 27, Red Grotto Acquisition Corporation 	(OGL Holdings, Inc.) page 32, and Dove Street Acquisition 	Corporation (Anvia Holdings Corporation) page 40. The 	registrant cannot locate information on a trading market 	for China Biotech Company Corporation as referenced in 	the Staff's letter. 5. The entire section of Recent Blank Check Companies beginning 	on page 18 has been reviewed to correct any typographical 	information and to add additional current disclosure. The 	companies with which involvement is over five years, have 	been removed to avoid confusion. Index to Exhibits 6. The filing has been made as requested in the Staff's comment 	and is reflected in the filing for Hidden Forest 	Acquisition Corporation. Report of Independent Registered Public Accounting Firm 7. The requested disclosure has been added and appears in the 	Report of the Independent Accountant on page 1 of the 	Financial Statements. 	 Sincerely, 	 /s/ Lee Cassidy 				 Cell phone: 202-415-3563