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Falconridge Oil Technologies Corp. – ‘RW’ on 2/28/08

On:  Thursday, 2/28/08, at 9:57am ET   ·   Accession #:  1165527-8-114   ·   File #:  333-145225

1 Reference:  By:  SEC – ‘UPLOAD’ on 5/1/08

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  As Of                Filer                Filing    For·On·As Docs:Size              Issuer               Agent

 2/28/08  Falconridge Oil Techs Corp.       RW                     1:3K                                     Global Financial Corp/FA

Registration Withdrawal Request
Filing Table of Contents

Document/Exhibit                   Description                      Pages   Size 

 1: RW          Post-Effective Amendment Withdrawl                     1      7K 



Ameriwest Minerals Corp. 5135 Camino Al Norte North Las Vegas, NV 89031 February 27, 2008 VIA EDGAR United States Securities and Exchange Commission Division of Corporate Finance 100 F Street, N.E. Washington, D.C. 20549 Re: Ameriwest Minerals Corp. Post-Effective Amendment No. 1 to Registration Statement on Form SB-2 Filed on January 28, 2008 File No. 333-145225 Ladies and Gentlemen: Pursuant to Rule 477(a) under the General Rules and Regulations under the Securities Act of 1933, as amended (the "Securities Act"), please consider this correspondence as an application to the United States Securities and Exchange Commission (the "Commission") granting the withdrawal by Ameriwest Minerals Corp. (the "Registrant") of the subject Post-Effective Amendment No. 1 to Registration Statement on Form SB-2 ("Post-Effective Amendment") filed by the Registrant on January 28, 2008 (File No. 333-145225). The Registrant is requesting withdrawal as we were advised in error to file the Post-Effective Amendment. There were no material misstatements or omissions in the original SB-2 filing which would have required us to file a Post-Effective Amendment. We have filed the required Form 8-K which was required to be filed for the change of director, not a post-effective amendment as we were originally advised. The Post-Effective Amendment has not been declared effective and no securities have been sold pursuant to the Post-Effective Amendment. The Registrant believes the withdrawal of the Post-Effective Amendment is consistent with the public interest and the protection of investors. The Registrant respectfully requests that, in accordance with the provisions of Rule 477(a) under the Securities Act, the Commission grants the application for withdrawal. If you have any questions or comments regarding the foregoing application for withdrawal, please contact our outside legal counsel Gary L. Blum, Esq. at (213) 381-7450. Very truly yours, /s/ William J. Muran ----------------------------- William J. Muran President

Dates Referenced Herein   and   Documents Incorporated by Reference

This ‘RW’ Filing    Date    Other Filings
Filed on:2/28/08
2/27/08
1/28/088-K,  POS AM
 List all Filings 


1 Subsequent Filing that References this Filing

  As Of               Filer                 Filing    For·On·As Docs:Size             Issuer                      Filing Agent

 5/01/08  SEC                               UPLOAD10/06/17    1:62K  Falconridge Oil Techs Corp.
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Filing Submission 0001165527-08-000114   –   Alternative Formats (Word / Rich Text, HTML, Plain Text, et al.)

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