OSN [Ossen Innovation] F-1/A: Amendment No. 8 to FORM F-1 REGISTRATION STATEMENT

[Amendment No. 8 to FORM F-1 REGISTRATION STATEMENT UNDER THE SECURITIES ACT OF 1933 OSSEN INNOVATION CO., LTD. British Virgin Islands 3312 Not Applicable (State or other jurisdiction of incorporation or organization) (Primary standard industrial classification code number) (I.R.S. Employer Identification Number) 518 Shangcheng Road, Floor 17, Shanghai, 200120, People’s Republic of China +86 (21) 6888-8886 CT Corporation System 111] [INDEPENDENT REGISTERED ACCOUNTING FIRM CONSENT We consent to the use of this Registration Statement on Form F-1, amendment No. 8, for Ossen Innovation Co., Ltd. of our report dated July 7, 2010, relating to the consolidated balance sheets of Ossen Innovation Co., Ltd. and Subsidiaries as of December 31, 2009 and 2008 and the related consolidated statements of operations, shareholders’] [GRANDALL LEGAL GROUP December 16, 2010 Ossen Innovation Co., Ltd 518 Shangcheng Road, Floor 17 Shanghai, 200120 People’s Republic of China Consent Letter Re: To Whom It May Concern: Sincerely yours, Grandall Legal Group (Shanghai) Office EX-23.5 8 v205656_ex23-5.htm]

NCTY [The9] CORRESP: (Original Filing)

[[Letterhead of The9 Limited] December 16, 2010 VIA EDGAR Ms. Kathleen Collins, Accounting Branch Chief Re: The9 Limited (the “Company”) Dear Ms. Collins and Ms. Kindelan, Item 5. Operating and Financial Review and Prospects Critical Accounting Policies, page 49 1. Notwithstanding your response to our prior comment 4, considering the apparent level of subjectivity and judgment necessary to determine whether]

By | 2016-03-17T07:58:12+00:00 December 16th, 2010|Categories: Chinese Stocks, NCTY, SEC Original|Tags: , , , , , |0 Comments

NCTY [The9] CORRESP: [Letterhead of The9 Limited] December 16, 2010 VIA

[[Letterhead of The9 Limited] December 16, 2010 VIA EDGAR Ms. Kathleen Collins, Accounting Branch Chief Re: The9 Limited (the “Company”) Dear Ms. Collins and Ms. Kindelan, Item 5. Operating and Financial Review and Prospects Critical Accounting Policies, page 49 1. Notwithstanding your response to our prior comment 4, considering the apparent level of subjectivity and judgment necessary to determine whether]

By | 2016-03-17T07:58:59+00:00 December 16th, 2010|Categories: Chinese Stocks, NCTY, Webplus ver|Tags: , , , , , |0 Comments
Skip to toolbar