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July 26, 2021
Via EDGAR
U.S. Securities and Exchange Commission
Division of Corporation Finance
Office of Life Sciences
100 F Street, N.E.
Washington, D.C. 20549
Attention: Tracey Houser
Brian Cascio
Tom Kluck
Suzanne Hayes
Re: Tenaya Therapeutics, Inc.
Registration Statement on Form S-1
Filed July 9, 2021
File No. 333-257820
Ladies and Gentlemen:
On behalf of our client, Tenaya Therapeutics, Inc. (Tenaya or the Company), we submit this letter in response to the comment from the staff (the Staff) of the Securities and Exchange Commission (the Commission) contained in its letter dated July 15, 2021, relating to the above referenced Registration Statement on Form S-1, filed on July 9, 2021 (the Registration Statement). We are concurrently submitting via EDGAR this letter and an amendment to the Registration Statement (the Amended Registration Statement).
In this letter, we have recited the comments from the Staff in italicized, bold type and have followed each comment with the Companys response. Except for page references appearing in the headings and Staff comments below (which are references to the original Registration Statement), all page references herein correspond to the Amended Registration Statement.
Form S-1
Prospectus Summary
Our Pipeline, page 4
U.S. Securities and Exchange Commission
July 26, 2021
Page 2
1. | We note your response to comment 2 and your revised disclosure in the pipeline table. We reissue in part our prior comment. The table continues to include separate line items for Next Generation Capsids and New Generation Target Identification Methods that are all in the early stages of discovery. We further note that these programs are vague and do not appear to be discussed in detail in the prospectus, including the summary, business, use of proceeds or MD&A sections. Please limit your table to product candidates that are sufficiently material to your business to warrant inclusion in your table. If these general programs are material, identify the indications and expand your disclosure elsewhere to identify more specifically these programs or candidates. |
In response to the Staffs comment, the Company has revised the pipeline table on pages 4 and 126 of the Amended Registration Statement to remove the Next Generation Capsids and New Generation Target Identification Methods line items from the pipeline table.
* * * *
U.S. Securities and Exchange Commission
July 26, 2021
Page 3
Please direct any questions regarding the Companys responses or the Amended Registration Statement to me at (650) 849-3041 or jknapp@wsgr.com.
Sincerely, | ||
WILSON SONSINI GOODRICH & ROSATI Professional Corporation | ||
/s/ Jennifer Knapp | ||
Jennifer Knapp |
cc: | Faraz Ali, Tenaya Therapeutics, Inc. |
Kenneth A. Clark, Wilson Sonsini Goodrich & Rosati, P.C. |
Jennifer Fang, Wilson Sonsini Goodrich & Rosati, P.C. |