November 4, 2021
Via EDGAR Submission
Securities and Exchange Commission
Division of Corporation Finance
Office of Manufacturing
100 F Street, N.E.
Washington, D.C. 20549
Attention: | Andi Carpenter |
Kevin Stertzel
Asia Timmons-Pierce
Jay Ingram
Re: | Satellogic Inc. |
Amendment No. 2 to Registration Statement on Form F-4
Filed October 19, 2021
File No. 333-258764
Ladies and Gentlemen:
Satellogic Inc. (the Company) previously filed Amendment No. 2 to Registration Statement on Form F-4 with the Securities and Exchange Commission (the SEC) on October 19, 2021 (the Registration Statement).
On behalf of the Company, we are writing to respond to the comment set forth in the comment letter (the Comment Letter) from the staff of the SEC (the Staff) dated November 3, 2021. The Companys response below corresponds to the caption and number of the comment (which is reproduced below in bold). Simultaneously with the submission of this letter, the Company is filing Amendment No. 3 to the Registration Statement (the Amended Registration Statement) in response to the Staffs comment. Capitalized terms used in this letter but not otherwise defined herein have the respective meanings ascribed to them in the Amended Registration Statement.
Registration Statement on Form F-4
Nettar Group Inc. Unaudited Financial Statements
2 Revenue from Contracts and Contract Liabilities, page F-7
1. | We note you recognized revenue of $1,706 thousand for the six months ended June 30, 2021. At a minimum, please address the following: |
| Describe your companys performance obligations. |
| Discuss if your company recognizes revenue over time or at a point in time. |
| Describe how you determine and allocate transaction prices. |
| Describe any variable consideration and how you account for such items. |
Refer to paragraphs 110 through 129 of IFRS 15 and revise your disclosure accordingly.
Response: In response to the Staffs comment, the Company has revised disclosure on pages F-6 and F-9 of the Amended Registration Statement.
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Securities and Exchange Commission
November 4, 2021
We hope that the above has been responsive to the Staffs comments. Should you have any questions relating to the foregoing, please feel free to contact the undersigned at (954)768-8210 or perezf@gtlaw.com.
Very truly yours, |
Flora R. Perez, Esq. |
cc: | Rick Dunn, Satellogic Inc. |
Adam Brajer, CF Acquisition Corp. V
Javad Husain, Hughes Hubbard & Reed LLP