United States securities and exchange commission logo
August 3, 2022
Lili Hu
Chief Financial Officer
Planet Green Holdings Corp.
36-10 Union St., 2nd Floor
Flushing, NY 11345
Re: Planet Green
Holdings Corp.
Form 10-K for the
Fiscal Year Ended December 31, 2021
Filed March 31,
2022
Form 10-Q for the
Fiscal Quarter Ended March 31, 2022
Filed May 13, 2022
File No. 001-34449
Dear Ms. Hu:
We have reviewed your filings 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 10-K for the Fiscal Year Ended December 31, 2021
Item 1. Business, page 2
1. Please conform the
disclosures in your Form 10-K, related to your operations in China and
Hong Kong, with the
disclosures in your amended Form S-3 (File No. 333-259611),
taking into
consideration comments 1 to 3 and 5 through 14 from our letter dated October
13, 2021 and comments 1
to 7 and 9 through 14 from our letter dated May 20, 2022, as
applicable. Disclosures
presented in the forepart/prospectus of Form S-3 should be
disclosed at the onset
of Item 1. Business in your Form 10-K. Please confirm your
understanding of this
matter and that you will comply with the requisite disclosures in
your Form 10-K, as
applicable, in your response to us.
Lili Hu
FirstName LastNameLili Hu
Planet Green Holdings Corp.
Comapany
August NamePlanet Green Holdings Corp.
3, 2022
August
Page 2 3, 2022 Page 2
FirstName LastName
ITEM 9A. Controls and Procedures
Internal Controls over Financial Reporting, page 15
2. Revise Management s Annual Report on Internal Control over Financial
Reporting in
future filings to identify the Committee of Sponsoring Organizations
of the Treadway
Commission, or COSO, Internal Control-Integrated Framework used to
evaluate the
effectiveness of your internal control over financial reporting (e.g.,
COSO 2013). Please
refer to Item 308(a)(2) of Regulation S-K.
Note 2. Summary of Significant Accounting Policies
Recent Accounting Pronouncements, page F-16
3. We note that although the adoption dates of ASU 2018-02 and ASU
2018-13 have passed,
you continue to state that the company does not believe the adoption
of these ASUs would
affect the company s financial statements. Please confirm that you
have adopted the
pronouncements and revise the discussions in future filings to clearly
disclose the impact,
or lack thereof, of the adoption on your financial statements. See SAB
Topic 11.M.
Note 23. Segment Reporting, page F-28
4. You disclose that your primary business segment and operations are
Shandong
Yunchu, Jingshan Sanhe, Anhui Ansheng, Jilin Chuangyuan, Xianning
Bozhuang and
Fast Approach. We also note from the "Overview of Our Business"
section on page 2 that
you operate a variety of businesses, including (i) the production of
food and beverage
products, (ii) the manufacture and sale of formaldehyde, urea
formaldehyde adhesive,
methylal, ethanol fuel, fuel additives and clean fuel products, (iii)
the manufacture of
skid-mounted refueling equipment, LNG cryogenic equipment and oil
storage tanks, and
(iv) a demand side advertising platform. Please address the following:
Describe to us, briefly, each of your businesses and identify
the entity through which
you provide each of these products and services.
Tell us whether each of the entities you identify in this note
represent an operating
segment pursuant to ASC 280- 10-50-1 though 50-9.
Tell us, and revise future filings to disclose your operating
segments and your
reportable segments as well as the information required by ASC
280-10-50-21.
To the extent you aggregate operating segments into one or more
reportable
segments, please explain how the operating segments meet the
aggregation criteria in
ASC 280-10-50-11.
5. Revise this note in future filings to provide all the disclosures
required by ASC 280-10-
50-20 to 50-42. To the extent you believe you are not required to
provide certain
information called for by the standard, please tell us why.
Lili Hu
Planet Green Holdings Corp.
August 3, 2022
Page 3
Form 10-Q for the Fiscal Quarter Ended March 31, 2022
Item 6. Exhibits
Exhibit 31, page 7
6. We note that your certifying officers omitted paragraph 4b from their
certifications,
although the transition period outlined in Rule 13a-15(c) of the
Exchange Act and Item
308 of Regulation S-K is no longer applicable to you. Please revise
all future annual and
quarterly reports to include the complete text, including paragraph
4b, as required by Item
601(b)(31)(i) 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 Dale Welcome, Staff Accountant, at 202-551-3865 or
Martin James,
Senior Advisor, at 202-551-3671 if you have questions.
FirstName LastNameLili Hu Sincerely,
Comapany NamePlanet Green Holdings Corp.
Division of
Corporation Finance
August 3, 2022 Page 3 Office of
Manufacturing
FirstName LastName