July 9, 2015
Via EDGAR and Overnight Delivery
U.S. Securities and Exchange Commission
Division of Corporation Finance
100 F Street, N.E.
Washington, D.C. 20549-3720
Attention: Jeffrey P. Riedler
Re: Theravance Biopharma, Inc.
Registration Statement on Form S-3
Filed June 26, 2015
File No. 333-205275
Dear Mr. Riedler:
On behalf of Theravance Biopharma, Inc. (the Company), we submit this letter in response to the comment from the staff (the Staff) of the Securities and Exchange Commission (the Commission) received by letter dated July 6, 2015, relating to the Companys Registration Statement on Form S-3 submitted on June 26, 2015 (the Registration Statement).
On behalf of the Company, we are also electronically transmitting for submission an amended version of the Companys Registration Statement on Form S-3 (Amendment No. 1), and for the convenience of the Staff, we are providing to the Staff by overnight delivery copies of this letter and marked copies of Amendment No. 1 (against the Registration Statement).
In this letter, we have recited the comment from the Staff in italicized, bold type and have followed the comment with the Companys response.
General
1. We note that you have incorporated by reference all other reports filed pursuant to Section 13(a) or 15(d) of the Exchange Act since the end of the fiscal year covered by your annual report for the fiscal year ended December 31, 2014. Please note that under Item 12(a)(2) of Form S-3 you must incorporate by reference the specific reports that have been filed pursuant to Section 13(a) and 15(d) of the Exchange since the end of the fiscal year covered by your annual report. Accordingly, please amend your registration statement to specifically incorporate by reference your Form 10-Q filed on May 13, 2015, your form 8-Ks filed on February 2, 2015, March 9, 2015 and April 24, 2015 and your amended Form 8-K filed on April 24, 2015.
In response to the Staffs comment, the Company has revised the registration statement to specifically incorporate by reference the requested reports.
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Please contact me at (650) 463-5353 if you have any questions about this submission.
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Sincerely yours, |
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/s/ David T. Young |
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David T. Young |
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Gunderson Dettmer Stough |
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Villeneuve Franklin & Hachigian, LLP |
cc: |
Renee D. Gala |
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Senior VP and Chief Financial Officer, Treasurer |
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Theravance Biopharma, Inc. |
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Bradford J. Shafer, Esq. |
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Senior VP and General Counsel |
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Theravance Biopharma, Inc. |
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Richard C. Blake, Esq. |
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Gunderson Dettmer Stough Villeneuve Franklin & Hachigian, LLP |
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Staff Courtesy Copies: | |
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Johnny Gharib |
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Bryan Pitko |