December 6, 2021
VIA EDGAR
United States Securities and Exchange Commission Division of Corporation Finance Office of Finance 100 F Street NE Washington, D.C. 20549 |
Attn: | William Schroeder |
Ben Phippen |
Jessica Livingston |
Nolan McWilliams |
Re: | VPC Impact Acquisition Holdings III, Inc. |
Amendment Nos. 2 and 3 to |
Registration Statement on Form S-4 |
Filed November 29, 2021 and November 30, 2021 |
File No. 333-260083 |
Ladies and Gentlemen:
On behalf of our client, VPC Impact Acquisition Holdings III, Inc., a Delaware corporation (the Company), we are writing to submit the Companys responses to the comments of the staff of the Division of Corporation Finance of the United States Securities and Exchange Commission (the Staff) with respect to the above-referenced amendments to the registration statement on Form S-4 filed respectively on November 29, 2021 and November 30, 2021 (collectively, the Amended Registration Statement), contained in the Staffs letter dated December 6, 2021 (the Comment Letter).
The Company has publicly filed via EDGAR its fourth amended registration statement on Form S-4 (the Fourth Amended Registration Statement), which reflects the Companys responses to the comments received by the Staff and certain updated information. For ease of reference, each comment contained in the Comment Letter is printed below in bold and is followed by the Companys response. All page references in the responses set forth below refer to page numbers in the Fourth Amended Registration Statement. Capitalized terms used but not defined herein have the meanings set forth in the Fourth Amended Registration Statement.
Amendment No. 2 to Form S-4
Part II, Exhibits
Exhibit 8.1, page II-1
United States Securities and Exchange Commission
December 6, 2021
1. | Refer to the first full paragraph on page 2. Counsel opines we are of the opinion that the discussion set forth in the Registration Statement . . . is accurate in all material respects. The accuracy of the disclosure is not the appropriate subject of the tax opinion. Please have counsel revise accordingly. For guidance, refer to Section III.C.2 of Staff Legal Bulletin No. 19. |
Response: The Company acknowledges the Staffs comment, and informs the Staff that it has filed as Exhibit 8.1 a revised tax opinion of Orrick, Herrington & Sutcliffe to reflect the Staffs comment.
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Please do not hesitate to contact Era Anagnosti at (202) 637-6274 of White & Case LLP with any questions or comments regarding this letter.
Sincerely,
/s/ White & Case LLP
White & Case LLP
cc: Scott R. Zemnick, VPC Impact Acquisition Holdings III, Inc.
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