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DLA Piper LLP (US) 555 Mission Street, Suite 2400 San Francisco, California 94105-2933 www.dlapiper.com
Jeffrey C. Selman jeffrey.selman@us.dlapiper.com T 415.615.6095 F 415.659.7465 |
October 27, 2021 |
Securities and Exchange Commission
Division of Corporation Finance
Office of Technology
100 F Street, NE
Washington, DC 20549
Attn: Anna Abramson
Re: | GigCapital4, Inc. |
Revised Preliminary Proxy Statement on Schedule 14A
Filed October 15, 2021
File No. 001-40031
Ladies and Gentlemen:
This letter responds to the comment letter (the Comment Letter) of the staff (the Staff) of the Division of Corporation Finance of the United States Securities and Exchange Commission (the Commission), dated October 26, 2021, to Dr. Raluca Dinu, Chief Executive Officer of GigCapital4, Inc. (GigCapital4 or the Company) regarding Amendment No. 2 to the Preliminary Proxy Statement on Schedule 14A filed October 15, 2021 (the Revised Preliminary Proxy Statement). Simultaneously with the submission of this letter, the Company is filing Amendment No. 3 to the Preliminary Proxy Statement in response to the Staffs comments.
This letter sets forth each comment of the Staff in the Comment Letter and, following the comment, sets forth the Companys response.
Revised Preliminary Proxy Statement on Schedule 14A
Risk Factors
Historically, existing customers have expanded their relationships with us..., page 51
1. | We note the disclosure provided in response to prior comment 1. Please clarify whether all of the significant customers referenced in this risk factor have contracts that permit them to unilaterally terminate our arrangement at any time (subject to notice and certain other provisions). |
The Company acknowledges the Staffs comment and has revised the disclosure on page 52 of Amendment No. 3.
The Company and its management acknowledge they are responsible for the accuracy and adequacy of their disclosures, notwithstanding any review, comments, action or absence of action by the Staff.
October 27, 2021
Page Two
We and the Company very much appreciate the Staffs attention to the review of the Revised Preliminary Proxy Statement. Please do not hesitate to contact me at (415) 615-6095 if you have any questions regarding this letter or the Amended Proxy Statement.
Very truly yours,
/s/ DLA Piper LLP (US)
DLA Piper LLP (US)
Jeffrey C. Selman
Partner