United States securities and exchange commission logo




                                                                                
                             December 6, 2022

       Ran Daniel
       Chief Financial Officer
       Nano-X Imaging Ltd.
       Communication Center
       Neve Ilan , Israel 9085000

                                                        Re: Nano-X Imaging Ltd.
                                                            Form 20-F for 
Fiscal Year Ended December 31, 2021
                                                            Filed May 2, 2022
                                                            Form 6-K Filed 
March 31, 2022
                                                            File No. 001-39461

       Dear Ran Daniel:

              We have reviewed your filing 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.

       Form 20-F for Fiscal Year Ended December 31, 2021

       Item 5. Operating and Financial Review and Prospects
       A. Operating Results
       Results of Operations, page 82

   1.                                                   Please expand your 
discussion and analysis of cost of revenue to explain why the amount
                                                        recognized for the AI 
segment significantly exceeds the amount of revenue recognized.
   2.                                                   We note that you 
attribute the increase in general and administrative expenses to (a) the
                                                        merger with Zebra and 
the acquisitions of USARAD and MDWEB and (b) increased
                                                        headcount due to the 
expansion of your management team and overall organization
                                                        infrastructure. When 
multiple factors impact the change in your results of operations,
                                                        quantify the extent to 
which each factor impacted the corresponding line items. Refer to
                                                        Item 303(b)(2) of 
Regulation S-K for guidance.
 Ran Daniel
FirstName LastNameRan    Daniel
Nano-X Imaging  Ltd.
Comapany6,
December   NameNano-X
             2022        Imaging Ltd.
December
Page 2    6, 2022 Page 2
FirstName LastName
E. Critical Accounting Estimates, page 90

3.       The disclosures you have provided for each of your identified critical 
estimates appear to
         provide investors with a discussion as to how you are accounting for 
these items in
         accordance with US GAAP and are similar to your significant accounting 
policies
         disclosures rather than providing investors with an understanding as 
to what the critical
         estimates being made are and how the uncertainty associated with those 
estimates may
         impact your consolidated financial statements. Please revise the 
disclosures for each of
         your critical estimates made in preparing your consolidated financial 
statements to comply
         with the guidance in Section 501.14 of the Financial Reporting 
Codification. Ensure your
         disclosures sufficiently explain to investors what each critical 
estimate is; the uncertainties
         associated with the critical estimates; the methods and assumptions 
used to make the
         critical estimates, including an explanation as to how you arrived at 
the assumptions used;
         the events or transactions that could materially impact the 
assumptions made; and how
         reasonably likely changes to those assumptions could impact your 
consolidated financial
         statements. Provide investors with quantified information to the 
extent meaningful and
         available.
Goodwill, page 91

4.       We note that $51.2 million of the $58.3 million in goodwill as of 
December 31, 2021 was
         generated from the acquisition of Zebra Medical Vision Ltd. on 
November 4, 2021. We
         further note that the related segment, AI Solutions, has recognized 
minimal revenues and
         generated gross and operating losses. As such, please ensure your 
disclosures address
         each of the following:
             The percentage by which the estimated fair value of your reporting 
units exceed the
              carrying value.
             The methodologies used to estimate the fair value of the reporting 
units, including the
              material judgments, assumptions and estimates.
             A discussion of the degree of uncertainty associated with the key 
assumptions and the
              potential impact changes in the key assumptions would have on 
your impairment
              analysis.
             A discussion of the potential events and/or changes in 
circumstances that could
              reasonably be expected to occur and negatively affect the key 
assumptions and result
              in a material impairment charge.
         Refer to Item303(b)(3) of Regulation S-K and Section 501.14 of the 
Financial Reporting
         Codification for guidance.
Item 15. Controls and Procedures, page 129

5.       We note your auditor has included the following material weakness,    
did not design and
         maintain effective internal controls over certain information 
technology (   IT   ) general
         controls for applications used in the preparation of the Company   s 
consolidated financial
         statements.    However, your disclosure of the material weaknesses did 
not include this
 Ran Daniel
FirstName LastNameRan    Daniel
Nano-X Imaging  Ltd.
Comapany6,
December   NameNano-X
             2022        Imaging Ltd.
December
Page 3    6, 2022 Page 3
FirstName LastName
         item. Please advise. In this regard, we note one of your remediation 
efforts is to
         implement a new ERP system.
Note 2 - Significant Accounting Policies
h. Intangible Assets, net
Goodwill, page F-11

6.       Please expand your accounting policy to disclose the date you are 
testing goodwill for
         impairment and to clarify the level at which you are testing goodwill 
for impairment (i.e.,
         at the operating segment level or at a component of your operating 
segments level). Refer
         to ASC 350-20-35-28 and ASC 350-20-35-33 through 35-38 for guidance.
l. Revenue Recognition, page F-13

7.       Please expand your accounting policy to specifically address the 
following:
             The disclosure requirements in ASC 606-10-50-12 and 50-18 through 
50-19. In this
             regard, it is unclear when your performance obligations for your 
radiology services
             are satisfied and whether revenue is recognized over time or at a 
point in time; what
             the significant payment terms are; and the nature of the services 
you have promised
             to provide, including whether you are acting as the principal or 
agent in the
             transactions.
             The disclosure requirements in ASC 606-10-50-17 and 50-20 
regarding the
             transaction price and whether there is any variable consideration.
8.       Please provide the disclosures regarding by ASC 606-10-50 for the 
revenues recognized
         related to your AI Solutions, which represented approximately 23% of 
total revenue
         recognized.
q. Fair value measurement, page F-15

9.       Please provide the disclosures required by ASC 820-10-50-2 for your 
contingent short
         term and long term earnout liabilities as of December 31, 2021.
Note 3 - Business Combination and Other Transaction, page F-18

10.      Please expand your disclosures for the acquisition of Zebra Medical 
Vision Ltd. to
         provide a discussion of the methodologies and material estimates and 
assumptions used to
         estimate the fair value of the Image Big Data intangible asset in 
addition to the Developed
         Technology intangible asset. Also provide a discussion of the facts 
and circumstances
         that lead you to conclude both intangible assets have a useful life of 
10 years.
Note 4 - Goodwill & Intangible Assets, Net, page F-23

11.      Please expand your disclosures to provide the information required for 
your goodwill
         activity and balances at the segment level in accordance with ASC 
350-20-50-1.
 Ran Daniel
Nano-X Imaging Ltd.
December 6, 2022
Page 4
Note 11 - Commitments and Contingencies, page F-30

12.      We note your disclosures for three legal proceedings in addition to 
the SEC investigation.
         Please expand your disclosures to state the amount or range of 
reasonably possible loss in
         the aggregate, or that you are unable to reasonably estimate the 
amount or range. Please
         note that ASC 450-20-50-4 does not require the amount or range of 
reasonably possible
         loss to be estimated with precision or certainty.
Note 14 - Segments of Operations, page F-40

13.      Please expand your disclosure to include the amount of total assets by 
reportable segment
         in accordance with ASC 280-10-50-22. In this regard, we note that you 
disclose the
         amount of depreciation and amortization expense by reportable segment.
Form 6-K Filed March 31, 2022

Exhibit 99.1, page 1

14.      We note your presentation of non-GAAP financial measures without 
and/or prior to the
         presentation of the most comparable US GAAP financial measure. 
Specifically, refer to
         your presentation of (a) non-GAAP gross profit on page 1; and (b) 
non-GAAP cost of
         revenue on page 2; (c) non-GAAP gross margin on page 2; and (d) 
non-GAAP basic and
         diluted loss per share on page 9. Please comply with Item 
10(e)(1)(i)(a) of Regulation S-
         K and Question 102.10 of the Non-GAAP Compliance and Disclosure 
Interpretations by
         presenting and/or discussing the most directly comparable US GAAP 
financial measure
         with equal or greater prominence.
15.      Please provide a reconciliation of non-GAAP gross profit/(loss) and 
non-GAAP gross
         margin from US GAAP gross loss and US GAAP gross margin in accordance 
with Item
         10(e)(1)(i)(b) of Regulation S-K.
        We remind you that the company and its management are responsible for 
the accuracy
and adequacy of their disclosures, notwithstanding any review, comments, action 
or absence of
action by the staff.

       You may contact Tracey Houser at 202-551-3736 or Terence O'Brien at 
202-551-3355, if
you have questions regarding comments on the financial statements and related 
matters.



                                                              Sincerely,
FirstName LastNameRan Daniel
                                                              Division of 
Corporation Finance
Comapany NameNano-X Imaging Ltd.
                                                              Office of 
Industrial Applications and
December 6, 2022 Page 4                                       Services
FirstName LastName