CORRESP: A correspondence can be sent as a document with another submission type or can be sent as a separate submission.
Published on August 2, 2018
TimefireVR Inc.
7150 E. Camelback Rd.
Suite 444
Scottsdale AZ, 85251
August 2, 2018
VIA EDGAR
Edwin Kim, Attorney-Advisor
Folake Ayoola, Special Counsel
United States Securities and Exchange Commission
100 F Street, N.E.
Washington, D.C. 20549
Re: TimefireVR Inc.
Amendment No. 1 to the Preliminary Proxy Statement on Schedule 14A
Filed June 12, 2018
File No. 000-31587
Dear Mr. Kim:
In your letter dated July 5, 2018 (the “Staff Comment Letter”), you requested that we respond to your comments regarding our Schedule 14A within 10 business days or advise you when we would provide a response. On July 17, 2018, we requested a ten business day extension, until August 2, 2018, to file an amended Schedule 14A and a response to the Staff Comment Letter.
We are currently waiting for the Company’s Chief Financial Officer to compile financial statements in order to respond to the Staff Comment Letter’s requests regarding financial statements for the Company’s former subsidiary and pro forma financial information for the Company. Accordingly, we respectfully request a 10 business day extension, until August 16, 2018, to file our response to the Staff Comment Letter.
Thank you for your consideration of our request for an extension. If you have any questions, please do not hesitate to call our legal counsel at (561) 227-4557.
Very truly yours,
/s/Jonathan Read
Jonathan Read
Chief Executive Officer
CC: Michael Harris, Esq.
Nason, Yeager, Gerson, White & Lioce, P.A.