[LETTERHEAD] Law Offices Reisman & Associates, P.A. 6975 NW 62nd Terrace Parkland, Florida 33067 email: Jbreisman@earthlink.net phone:954-344-0809 Fax:928-569-8195 November 12, 2004 Ms. Carrie Darling Division of Corporation Finance Securities and Exchange Commission Washington, D.C. 20549 Re: McKenzie Bay International, Ltd. Form SB-2 File No. 333-119493 Dear Ms. Darling: Confirming our telephone conversation, the following paragraph was inadvertently omitted from the cover page of the prospectus in Amendment No. 1: Cornell Capital Partners is not obligated to purchase any of our shares unless our shares shall have been authorized for quotation on the Nasdaq National Market, the Nasdaq SmallCap Market, the American Stock Exchange, the OTC Bulletin Board or the New York Stock Exchange, whichever is at the time the principal trading exchange or market for the shares. The paragraph will immediately follow the paragraph beginning "There is no cap..." in the prospectus to be filed pursuant to Rule 424 under the Securities Act of 1933. The paragraph was included in the prospectus included in Amendment No. 1 under the caption "The Standby Equity Distribution Agreement." The foregoing paragraph constitutes the only substantive change in Amendment No. 1 on the pages I faxed to you on November 10, 2004. Sincerely, /s/ Jonathan B. Reisman _______________________ Jonathan B. Reisman