United States securities and exchange commission logo




                                                                                
                            February 22, 2023

       Erke Huang
       Chief Financial Officer
       Bit Digital, Inc.
       33 Irving Place
       New York, NY 10003

                                                        Re: Bit Digital, Inc.
                                                            Form 20-F Filed 
April 15, 2022
                                                            Form 6-K Filed 
December 7, 2022
                                                            Response dated 
November 28, 2022
                                                            File No. 001-38421

       Dear Erke Huang:

              We have reviewed your November 28, 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
       September 22, 2022 letter.

       Form 6-K Filed December 7, 2022

       Exhibit 99.1 Bit Digital press release dated December 7, 2022
       Consolidated Statements of Cash Flows, page 22

   1.                                                   We note you present the 
purchase of digital assets (USDC) as an investing activity.
                                                        Please tell us how you 
considered the guidance in ASC 230 in determining to present this
                                                        activity as an 
investing activity.
       6. Property and Equipment, Net, page 31

   2.                                                   We note your disclosure 
that you can no longer use any of your ETH miners to mine ETH.
                                                         Please tell how you 
determined the carrying amount of your ETH miners was recoverable
                                                        at September 30, 2022 
and no impairment was required. Specifically tell us how you
 Erke Huang
FirstName
Bit Digital,LastNameErke Huang
            Inc.
Comapany22,
February    NameBit
              2023 Digital, Inc.
February
Page 2 22, 2023 Page 2
FirstName LastName
         considered the guidance in ASC 360.
Form 20-F Filed April 15, 2022

Hosting Agreements, page 50

3.       Please refer to comments 3 and 5. To the extent that profit-sharing, 
variable performance
         fees or any other similar costs paid to hosting facilities are 
significant individually or in
         total, please revise future filings to quantify the amounts and 
provide additional disclosure
         regarding how the costs are determined to allow an investor to more 
clearly understand
         underlying trends and variability in your cost of revenue.
4.       Please refer to comments 4 and 6. Please revise your summary of 
significant accounting
         policies in future filings to clarify, if true, that all costs related 
to hosting agreements are
         presented in cost of revenue.
Cost of Revenue, page 74

5.       Please refer to comment 9. We note the significant variability in cost 
of revenue during
         2022, 2021 and 2020. In order to provide the information that is 
necessary for an investor
         to understand your results of operations, please tell us and revise 
future filings to quantify
         the main components of cost of revenue for each period presented and 
discuss the
         underlying drivers in the variability of the these costs of revenue 
and related trends. Refer
         to Items 5.A and 5.D of Form 20-F.
Item 15. Controls and Procedures, page 102

6.       We note your response to comment 12 and re-issue the comment in part. 
Please tell us
         and revise future filings to discuss the estimated time remaining to 
complete each
         remediation action disclosed. Please also confirm that you will 
include the information
         provided in your prior response in future filings.
Digital Assets, page F-10

7.       Please refer to comment 18. It appears that your pre January 1, 2022 
policy to measure
         impairment based on the prices of digital assets on the reporting date 
is not consistent with
         the guidance in ASC 350. Please tell us how you considered if your 
misapplication of
         this accounting policy was an error, if the error was material to your 
financial statements
         prior to January 1, 2022 considering the guidance in SAB Topic 1M, and 
whether
         financial statement restatements and an amendment to your Form 20-F 
were warranted.
          Please ensure your provided materiality analysis includes both 
quantitative and
         qualitative considerations.
Digital asset mining, page F-12

8.       Please refer to comments 1 and 21. We note that you generated revenue 
from several pool
         operators during 2021 and 2020, including Huobi, Poolin, and Antpool. 
Please quantify
 Erke Huang
Bit Digital, Inc.
February 22, 2023
Page 3
         for us the amount of mining pool fees charged to you during each 
period and tell us the
         nature of those fees. Also, please tell us how you presented these 
fees in your income
         statement, detail the accounting guidance you considered in making 
your determination
         and revise future filings to disclose your policy.
9.       We note your disclosure that the fair value of the digital assets 
award received is
         determined using the quoted price of the related digital assets at the 
time of receipt, which
         is not materially different than the fair value at contract inception. 
Please tell us all the
         facts and circumstances and the relevant accounting guidance you 
considered in
         determining each    contract inception    including explaining when 
and how often the
         criteria in paragraph ASC 606-10-25-1 is met to have a new contract. 
Also, explain the
         typical amount of time between    contract inception    and the time 
of receipt and how you
         determined that the fair value between these two times was not 
materially different.
         Lastly, please clarify if you recognize revenue when you receive 
confirmation of the
         consideration you will receive or when you actually receive it and 
explain the typical
         amount of time between these two times. Please revise future filings 
as necessary to
         ensure your accounting policies are clear related to these areas.
General

10.      Please refer to comment 2. Please confirm that you will include the 
information provided
         in your responses in future filings.
      You may contact William Schroeder at 202-551-3294 or Michael Volley at 
202-551-
3437 with any questions.



FirstName LastNameErke Huang                                    Sincerely,
Comapany NameBit Digital, Inc.
                                                                Division of 
Corporation Finance
February 22, 2023 Page 3                                        Office of 
Crypto Assets
FirstName LastName