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                            September 21, 2023

       Hongliang Li
       Chief Executive Officer
       Leishen Energy Holding Co., Ltd.
       103 Huizhong Li, B Building, Peking Times Square, Unit 15B10
       Chaoyang District, Beijing, China

                                                        Re: Leishen Energy
Holding Co., Ltd.
                                                            Draft Registration
Statement on Form F-1
                                                            Submitted August
24, 2023
                                                            CIK No. 0001985139

       Dear Hongliang Li:

              We have reviewed your draft registration statement and have the
following comments. In
       some of our comments, we may ask you to provide us with information so
we may better
       understand your disclosure.

              Please respond to this letter by providing the requested
information and either submitting
       an amended draft registration statement or publicly filing your
registration statement on
       EDGAR. If you do not believe our comments apply to your facts and
circumstances or do not
       believe an amendment is appropriate, please tell us why in your
response.

             After reviewing the information you provide in response to these
comments and your
       amended draft registration statement or filed registration statement, we
may have additional
       comments.

       Draft Registration Statement submitted on August 24, 2023

       Cover Page

   1.                                                   We note from your
disclosure on the cover page that you exclude Hong Kong and Macau
                                                        from your definition of
   PRC    or    China    for the purpose of your registration statement.
                                                        Please revise to remove
the exclusion of Hong Kong and Macau from such definition.
   2.                                                   Please disclose on the
cover page that Hongliang Li, your Chief Executive Officer and
                                                        Director, through his
holding company Polar Energy Company Limited controls a
                                                        majority of the voting
power of your outstanding ordinary shares. Please also include a
                                                        risk factor that Mr. Li
will be able to influence your management and affairs and all
                                                        matters requiring
shareholder approval.
 Hongliang Li
FirstName LastNameHongliang   Li
Leishen Energy Holding Co., Ltd.
Comapany 21,
September NameLeishen
              2023      Energy Holding Co., Ltd.
September
Page 2    21, 2023 Page 2
FirstName LastName
Prospectus Summary, page 4

3.       We note your disclosure that the "following diagram illustrates our
corporate structure and
         shareholders of each corporate entity listed herein immediately after
completion of the
         offering;" however, the diagram is not included here. Please revise.
4.       In your summary of risk factors, disclose the risks that your
corporate structure and being
         based in or having the majority of the company   s operations in China
poses to investors.
         In particular, describe the significant regulatory, liquidity, and
enforcement risks with
         cross-references to the more detailed discussion of these risks in the
prospectus. For
         example, specifically discuss risks arising from the legal system in
China, including risks
         and uncertainties regarding the enforcement of laws and that rules and
regulations in
         China can change quickly with little advance notice; and the risk that
the Chinese
         government may intervene or influence your operations at any time, or
may exert more
         control over offerings conducted overseas and/or foreign investment in
China-based
         issuers, which could result in a material change in your operations
and/or the value of the
         securities you are registering for sale. Acknowledge any risks that
any actions by the
         Chinese government to exert more oversight and control over offerings
that are conducted
         overseas and/or foreign investment in China-based issuers could
significantly limit or
         completely hinder your ability to offer or continue to offer
securities to investors and
         cause the value of such securities to significantly decline or be
worthless.
Implications of being an emerging growth company, page 7

5.       We note you identify yourself as an emerging growth company, and you
have elected to
         use the extended transition period for complying with new or revised
accounting standards
         under Section 102(b)(1) of the Act. In this regard, please describe
the risks resulting from
         this election, including that your financial statements may not be
comparable to
         companies that comply with public company effective dates.
Market and Industry Data, page 8

6.       Please disclose the data of the commissioned report published by Frost
& Sullivan from
         which you include statistical data and estimates.
Risk Factors, page 16

7.       Given the Chinese government   s significant oversight and discretion
over the conduct of
         your business, please revise to highlight separately the risk that the
Chinese government
         may intervene or influence your operations at any time, which could
result in a material
         change in your operations and/or the value of the securities you are
registering. Also,
         given recent statements by the Chinese government indicating an intent
to exert more
         oversight and control over offerings that are conducted overseas
and/or foreign investment
         in China-based issuers, acknowledge the risk that any such action
could significantly limit
         or completely hinder your ability to offer or continue to offer
securities to investors and
 Hongliang Li
Leishen Energy Holding Co., Ltd.
September 21, 2023
Page 3
         cause the value of such securities to significantly decline or be
worthless.
Failure to comply with PRC property-related laws. . ., page 33

8.       Please describe the location and character of the principal properties
you hold. In each
         case describe the material terms of the leases or contracts governing
those properties and
         any major encumbrances thereon, including a description of the size
and uses of the
         property; productive capacity and extent of utilization of the company
  s facilities; how the
         assets are held; the products produced; and the location. Describe the
extent to which you
         or third parties are responsible for maintenance and other significant
obligations related to
         your leased properties. With regard to any material plans to
construct, expand or improve
         facilities, describe the nature of and reason for the plan, an
estimate of the amount of
         expenditures including the amount of expenditures already paid, a
description of the
         method of financing the activity, the estimated dates of start and
completion of the
         activity, and the increase of production capacity anticipated after
completion.
Management's discussion and analysis of financial condition and results of
operations, page 46

9.       Please disclose whether you utilize any key metrics or financial
measures to evaluate your
         business, measure your performance, identify trends affecting your
business, establish
         budgets, measure the effectiveness of investments in your technology
and development
         and sales and marketing, and assess your operational efficiencies.
Refer to Item 5
         Operating and Finance Review and Prospects to Form 20-F.
Factors Affecting Our Results of Operations, page 48

10.      Please discuss whether supply chain disruptions materially affect your
outlook or business
         goals. Specify whether challenges have materially impacted your
results of operations or
         capital resources and quantify, to the extent possible, how your
sales, profits, and/or
         liquidity have been impacted. Discuss known trends or uncertainties
resulting from
         mitigation efforts undertaken, if any. Explain whether any mitigation
efforts introduce
         new material risks, including those related to product quality,
reliability, or regulatory
         approval of products.
Revenues, page 51

11.    We note your disclosure that the increase in revenue from digitalization
and integration
       equipment sales "was contributed to continuously increased requirement
to our
       digitalization and integration equipment" and the increase in revenue
from oil and gas
FirstName LastNameHongliang Li
       engineering technical services "was contributed to continuously
increased requirement to
Comapany    NameLeishen
       our compressor      Energy
                        booster    Holding
                                service."   Co., Ltd.
                                          Please revise to disclose the
material factors underlying
       the changes
September   21, 2023inPage
                       revenue.
                           3
FirstName LastName
 Hongliang Li
FirstName LastNameHongliang   Li
Leishen Energy Holding Co., Ltd.
Comapany 21,
September NameLeishen
              2023      Energy Holding Co., Ltd.
September
Page 4    21, 2023 Page 4
FirstName LastName
Liquidity and Capital Resources, page 54

12.      Please clearly disclose the minimum funding required remaining in
business for at least
         the next 12 months. In addition, revise to disclose the minimum number
of months that
         you will be able to conduct your planned operations using currently
available capital
         resources. Please refer to Item 5B. Liquidity and Capital Resources to
Form 20-F.
13.      Please provide a more informative discussion and analysis of cash
flows from operating
         activities, including changes in working capital components, for the
periods presented. In
         doing so, explain the underlying reasons and implications of material
changes between
         periods to provide investors with an understanding of trends and
variability in cash flows.
         Please refer to Item 5B(1) to (3) Liquidity and capital resources. In
addition, please revise
         references to cash used in an activity to show that such amounts have
a negative impact on
         your cash flows (e.g., mark in parenthesis).
Competitive Landscape of Oilfield Services Market in China, page 77

14.      Please revise to define or explain briefly "assemblers in the market"
and why they are
         excluded from the market information.
Business, page 87

15.      We note your disclosure on page 87 that you serve a large customer
base throughout PRC,
         Saudi Arabia, Kazakhstan and Indonesia. To the extent material, please
disclose the
         percentage of revenue that you generate from each country for all
periods presented. Refer
         to Item 4.B.2. of Form 20-F.
16.      Please expand your disclosure in this section to describe the
relationship you have with
         your manufacturing partners, including where they are based,
manufacturing capacities,
         company oversight, and any existing long-term manufacturing contracts
which you are
         substantially dependent upon. Additionally, disclose the extent to
which you manufacture
         your own products.
Our Customers, page 110

17.      We note that for the year ended September 30, 2022, your four largest
customers
         accounted for 61% of your total revenue. Please disclose the terms of
any material
         agreements with these customers, including the identity of the
customer, the term of the
         agreements and any termination provisions. In addition, please add a
risk factor regarding
         your reliance on these customers and any uncertainties regarding your
relationship with
         them.
18.      On page 102, your disclosure provides that the    integrated
pre-splitting device has been
         successfully implemented in various of Customer Group B   s Northwest
Oilfield projects,
         including the Shunbei No. 5 Combined Station and Shunbei No. 1
Treatment Station
         Sewage System Expansion Project;    however, on page 110, the
Northwest Oilfield
 Hongliang Li
Leishen Energy Holding Co., Ltd.
September 21, 2023
Page 5
         projects are attributed to Customer Group A. Please reconcile.
Related Party Transactions, page 139

19.      We note that you have loans due from Li Hongliang, Chief Executive
Officer and director
         of the company, as of September 30, 2022. Exchange Act Section
13(k)(1) prohibits
         public companies from extending or maintaining credit in the form of
personal loans to or
         for any director or executive officer. Please disclose the business
purpose of the loan and
         tell us how you intend to comply with Section 13(k) of the Securities
Exchange Act of
         1934 with respect to this loan.
Notes to Consolidated Financial Statements
Revenue recognition, page F-14

20.      Please tell us how you considered the guidance in ASC 606-10-55-89
through 55-91
         regarding presentation of disaggregated revenues. We note that your
Results of Operations
         section in MD&A discusses the percentage change in revenue for each
revenue source.
         Please advise or revise to include disclosure of your revenue
disaggregation in your
         financial statements footnote.
Income taxes, page F-29

21.      Please disclose a description of tax years that remain subject to
examination by major tax
         jurisdictions that is required under ASC 740-10-50-15e.
Parent company information (unaudited), page F-33

22.      Please confirm that your parent only financial statements will be
audited. Please refer to
         Rule 5-04(c) of Regulation S-X.
General

23.    Please supplementally provide us with copies of all written
communications, as defined
FirstName LastNameHongliang Li
       in Rule 405 under the Securities Act, that you, or anyone authorized to
do so on your
Comapany   NameLeishen
       behalf,             Energy Holding
               present to potential investorsCo., Ltd. on Section 5(d) of the
Securities Act,
                                              in reliance
       whether
September       or notPage
           21, 2023    they5retain copies of the communications.
FirstName LastName
 Hongliang Li
FirstName LastNameHongliang   Li
Leishen Energy Holding Co., Ltd.
Comapany 21,
September NameLeishen
              2023      Energy Holding Co., Ltd.
September
Page 6    21, 2023 Page 6
FirstName LastName
       You may contact Becky Chow, Senior Staff Accountant, at (202) 551-6524
or Stephen
Krikorian, Accounting Branch Chief, at (202) 551-3488 if you have questions
regarding
comments on the financial statements and related matters. Please contact Marion
Graham, Staff
Attorney, at (202) 551-6521 or Jan Woo, Legal Branch Chief, at (202) 551-3453
with any other
questions.



                                                          Sincerely,

                                                          Division of
Corporation Finance
                                                          Office of Technology
cc:      David Manno