United States securities and exchange commission logo
December 15, 2022
Ian Huen
Chief Executive Officer
Aptorum Group Ltd
17 Hanover Square
London W1S 1BN , United Kingdom
Re: Aptorum Group Ltd
Form 20-F for
Fiscal Year Ended December 31, 2021
Response Dated
December 2, 2022
File No. 001-38764
Dear Ian Huen:
We have reviewed your December 2, 2022 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 these comments within ten business days by
providing the requested
information or advise us as soon as possible when you will respond. If
you do not believe our
comments apply to your facts and circumstances, please tell us why in
your response.
After reviewing your response to these comments, we may have
additional
comments. Unless we note otherwise, our references to prior comments are
to comments in our
November 22, 2022 letter.
Response Dated December 2, 2022
Part I
Item 3.D. Risk Factors, page 1
1. We note your response
to comment 1, including your statement that the "majority of
[y]our operations are
in Hong Kong" and you "do not conduct any business in the
PRC," and reissue. The
legal and operational risks associated with operating in China
apply to your
operations in Hong Kong. Additionally, please ensure that you address
throughout your filing
the material legal and regulatory risks associated with your specific
operations in Hong
Kong.
2. We note your response
to comment 2, including your statement that "the VIEs are located
and incorporated
outside of China; China does not have any control over the VIEs," and
Ian Huen
Aptorum Group Ltd
December 15, 2022
Page 2
reissue. Please clarify whether or not your VIEs conduct operations in
Hong Kong or
otherwise advise. To the extent your VIEs conduct operations in Hong
Kong please revise
your risk factor accordingly.
Item 4. Information on the Company
A. History and Development of the Company, page 45
3. We note your response to comment 6 and reissue. At the onset of Item
4, please disclose
prominently that you are not a Chinese operating company but a Cayman
Islands holding
company with operations conducted by your subsidiaries and through
contractual
arrangements with variable interest entities (VIEs) based in Hong Kong
and that this
structure involves unique risks to investors. If true, disclose that
these contracts have not
been tested in court. In addition, please clarify here where the VIEs
are operating or
otherwise advise and explain whether the VIE structure is used to
provide investors with
exposure to foreign investment in China-based companies where Chinese
law prohibits
direct foreign investment in the operating companies, and disclose
that investors may
never hold equity interests in the Chinese operating company or
otherwise advise. Your
disclosure should acknowledge that Chinese regulatory authorities
could disallow this VIE
structure, which would likely result in a material change in your
operations and/or a
material change in the value of your securities, including that it
could cause the value of
your securities to significantly decline or become worthless. We note
in your response that
you included a cross-reference but do not see a cross reference in the
proposed amended
disclosure. Please revise or otherwise advise.
4. We note your response to prior comment 7. Please tell us and revise
your future filings to
identify the jurisdiction in which Libra Sciences Limited is
incorporated or chartered.
B. Business Overview, page 48
5. We note your response to comment 8 and reissue as we do not agree that
proposed
disclosure in your risk factor section is sufficient. The legal and
operational
risks associated with operating in China apply to your operations in
Hong Kong. Please
revise your Business Overview section to provide prominent, upfront,
disclosure about the
legal and operational risks associated with being based in or having the
majority of the
company s operations in China. Your disclosure should make clear
whether these risks
could result in a material change in your operations and/or the value of
your securities or
could significantly limit or completely hinder your ability to offer or
continue to offer
securities to investors and cause the value of such securities to
significantly decline or be
worthless. Your disclosure should address how recent statements and
regulatory actions
by China s government, such as those related to the use of variable
interest entities and
FirstName LastNameIan Huen
data security or anti-monopoly concerns, have or may impact the company
s ability to
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conduct its business,Group
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foreign investments, or list on a U.S. or
other foreign
exchange.
December 15, 2022 Page 2
FirstName LastName
Ian Huen
FirstName LastNameIan Huen
Aptorum Group Ltd
Comapany15,
December NameAptorum
2022 Group Ltd
December
Page 3 15, 2022 Page 3
FirstName LastName
6. We note your revised disclosure in Annex I states Aptorum Innovations
Holding Limited
owns 75% of Aptorum Innovations Holding Pte. Ltd., Accelerate
Technologies Pte. Ltd.
holds 15%, and the inventors of RPIDD technologies in A*STAR hold the
remaining
15%. Please revise or otherwise advise. Also, revise the chart to use
dashes instead of
solid lines for the arrows indicating your contractual arrangements
with the VIEs.
7. We note your response to comments 11 and 12 and reissue in part. We
note you state in
your response letter "our VIEs." Refrain from using terms such as
we or our when
describing activities or functions of a VIE. Do not use language that
suggests control of
the VIEs. In addition, please revise your definitions of Mios and
Scipio to clarify that you
are the primary beneficiary of the VIE for accounting purposes.
8. We note your response to comment 13 including your disclosure in your
response that you
"are not required to obtain any permissions or approvals from Chinese
Authorities" and
reissue. Please revise your 20-F to state affirmatively whether you
have received all
requisite permissions or approvals in China, including Hong Kong, and
whether any
permissions or approvals have been denied. Please also describe the
consequences to you
and your investors if you, your subsidiaries, or the VIEs: (i) do not
receive or maintain
such permissions or approvals, (ii) inadvertently conclude that such
permissions or
approvals are not required, or (iii) applicable laws, regulations, or
interpretations change
and you are required to obtain such permissions or approvals in the
future. Place the
revised disclosure in your Business Overview section.
9. We note your response to comment 14 and reissue. Please update your
disclosure in your
20-F consistent with your response that the "VIEs do not hold cash"
and that "[n]o
transfers, dividends, or distributions have been made to any investor
to date." In addition,
please provide a clear description of how cash is transferred through
your organization.
State whether or not you have established cash management policies
relating to the
transfer of funds through your organization and describe them, as
applicable. Disclose
your intentions to distribute earnings or settle amounts owed under
the VIE agreements.
Quantify any cash flows and transfers of other assets by type that
have occurred between
the holding company, its subsidiaries, and the consolidated VIEs, and
direction of transfer.
In addition, your response does not appear to address any restrictions
and limitations the
PRC or Hong Kong may impose on your funds or assets located inside
Hong Kong. Please
amend your disclosure to describe any restrictions on foreign exchange
and your ability to
transfer cash between entities, across borders, and to U.S. investors.
Describe any
restrictions and limitations on your ability to distribute earnings
from the company,
including your subsidiaries and/or the consolidated VIEs, to the
parent company and U.S.
investors as well as the ability to settle amounts owed under the VIE
agreements.
You may contact Tracie Mariner at 202-551-3744 or Kevin Vaughn at
202-551-3494 if
you have questions regarding comments on the financial statements and related
matters. Please
contact Daniel Crawford at 202-551-7767 or Jason Drory at 202-551-8342 with any
other
questions.
Ian Huen
Aptorum Group Ltd
December 15, 2022
Page 4
Sincerely,
FirstName LastNameIan Huen
Division of Corporation Finance
Comapany NameAptorum Group Ltd
Office of Life Sciences
December 15, 2022 Page 4
cc: Louis Taubman, Esq.
FirstName LastName