United States securities and exchange commission logo
February 6, 2024
Eric Alexander
Chief Financial Officer
U.S. Gold Corp.
1910 East Idaho Street
Suite 102-Box 604
Elko, NV 89801
Re: U.S. Gold Corp.
Form 10-K for the
Fiscal Year ended April 30, 2023
Filed July 31, 2023
File No. 001-08266
Dear Eric Alexander:
We have reviewed your
filing and have the following comments.
Please respond to this letter 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 a
comment applies to your facts and circumstances, please tell us why in
your response.
After reviewing your
response to this letter, we may have additional comments.
Form 10-K for the Fiscal Year ended April 30, 2023
Mineral Reserves and Mineral Resource, page 9
1. Please expand your
resource and reserve disclosures to include the metallurgical recovery,
along with the point of
reference, to comply with Item 1304(d)(1) of Regulation S-K.
Financial Statements
Note 9 - Warrant Liability, page F-18
2. We understand from your
disclosures in the last paragraph on page F-9 and the second
paragraph on page F-10
that you have classified warrants issued on March 18, 2022 and
April 10, 2023 as
liabilities because the warrant agreement provisions may either
require net-cash
settlement if an event occurs that is not within your control, or provide
the counterparty with
an option to choose net-cash settlement.
We see that you have
among the inputs to your valuation model listed in the tabulations
on pages F-18 and F-19
the probability of a "fundamental transaction," along with the
Eric Alexander
FirstName LastNameEric Alexander
U.S. Gold Corp.
Comapany6,NameU.S.
February 2024 Gold Corp.
February
Page 2 6, 2024 Page 2
FirstName LastName
number of years during the exercise period when such an event may
occur, and the share
price volatility that is assumed to follow. However, this term is not
referenced or
defined within the Securities Purchase Agreements at Exhibits 10.14
and 10.17, which
otherwise appear to be associated with the financing transactions.
Please expand your disclosures to describe the particular warrant
provisions that have
resulted in your liability classification; and to clarify how a
"fundamental transaction" is
defined and relevant to the classification and valuation of your
warrants.
You may refer to FASB ASC 505-10-50-3 if you require further guidance
on the
associated disclosure requirements.
Tell us the specific language within the exhibits referenced above
that correlates with your
assessments, or if there are incremental contractual arrangements that
govern the manner
of settlement provide those documents for our review.
Please submit the analysis that you performed of the contractual
provisions and specific
accounting guidance in formulating your view on the classification.
Exhibit 96.1 Technical Report Summary, page E-1
3. The remaining comments are concerned with various disclosure
requirements applicable
to the technical report summary. Please discuss these matters with the
qualified persons
involved in preparing the report and arrange to obtain and file a
revised technical report
summary that includes all of the required information.
Section 6 - Geological Setting, Mineralization and Deposit
Property Geology, page E-15
4. At least one stratigraphic column and one cross-section of the local
geology is required by
Item 601(b)(96)(iii)(B)(6)(iii) of Regulation S-K.
Section 10 - Mineral Processing and Metallurgical Testing
Conclusions and Recommendations, page E-55
5. The opinion of the qualified person on the adequacy of the
metallurgical data for the
purposes used is required by Item 601(b)(96)(iii)(B)(10)(v) of
Regulation S-K.
Section 11.13 - Reasonable Prospects of Eventual Economic Extraction, page E-79
6. The qualified person may elect to report resource estimates inclusive
of reserves, though
in these instances the technical report summary must also include
resource estimates
exclusive of reserves to comply with Item 601(b)(96)(iii)(B)(11)(ii)
of Regulation S-K.
7. The operating costs used for the resource cutoff grade calculation
should be included with
the cutoff grade disclosures; and footnotes to the various resource
and reserve tabulations
should clarify and distinguish between breakeven and internal or
marginal cutoff grades to
Eric Alexander
U.S. Gold Corp.
February 6, 2024
Page 3
comply with Item 601(b)(96)(iii)(B)(11)(i) and (iii) of Regulation
S-K.
Section 12 - Mineral Reserve Estimates
Relevant Factors, page E-83
8. The opinion of the qualified person on how the mineral reserve
estimates could be
materially affected by risk factors associated with changes to any
aspect of the modifying
factors is required by Item 601(b)(96)(iii)(B)(12)(vi) 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.
Please contact John Coleman, Mining Engineer at (202) 551-3610 if you
have questions
regarding comments on your mineral property information. Please contact Jenifer
Gallagher,
Staff Accountant at 202-551-3706 or Karl Hiller, Branch Chief at 202-551-3686
if you have
questions regarding comments on the financial statements and related matters.
FirstName LastNameEric Alexander Sincerely,
Comapany NameU.S. Gold Corp.
Division of
Corporation Finance
February 6, 2024 Page 3 Office of Energy
& Transportation
FirstName LastName