United States securities and exchange commission logo





                            November 3, 2020

       Jay Short, Ph.D.
       Chairman and Chief Executive Officer
       BioAtla, Inc.
       11085 Torreyana Road
       San Diego, CA 92121

                                                        Re: BioAtla, Inc.
                                                            Draft Registration
on Form S-1
                                                            Submitted on
October 6, 2020
                                                            CIK No. 0001826892

       Dear Dr. Short:

              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 on Form S-1

       Overview, page 1

   1.                                                   We note statements
throughout the prospectus that imply efficacy, such as "[y]our
                                                        approach affords the
necessary targeting and potency required for cancer cell
                                                        destruction," the
"tumor-selective activity markedly improves both safety and efficacy of
                                                        antibodies against a
wide range of targets by widening the therapeutic window, or the
                                                        possibility for a more
effective therapy," that your "CAB technology is validated," that
                                                        "TmPS, . . . appears to
correlate with achievement of clinical response," that you "have
                                                        developed CAB
antibodies with specificity for tumors, while avoiding binding to the same
                                                        antigen target
expressed on many normal tissues," and that you have "invented, developed
                                                        and refined this
technology so that you can effectively and selectively activate proteins
 Jay Short, Ph.D.
FirstName  LastNameJay Short, Ph.D.
BioAtla, Inc.
Comapany 3,
November    NameBioAtla,
              2020        Inc.
November
Page 2     3, 2020 Page 2
FirstName LastName
         and antibodies in the tumor microenvironment." Please revise your
disclosure throughout
         your prospectus to revise these and similar statements to eliminate
conclusions or
         predictions that your product candidates are effective as
determinations of efficacy are
         solely within the authority of the FDA. You may provide a summary of
the data that you
         used to draw these conclusions, and such discussion is more
appropriate in the Business
         section where full and proper context can be provided.
2.       Additionally, we note your disclosure that you you have observed "an
improved
         therapeutic window relative to non-CAB products." Please refrain from
making such
         comparisons unless you have conducted head to head trials.
3.       We note your disclosure that you have initiated potentially
registration-enabling Phase 2
         trials for your two latest stage ADC product candidates
BA3011(targeting AXL) and
         BA3021 (targeting ROR2) in multiple cancer indications. Please provide
balancing
         disclosure that the the FDA has not opined on whether the Phase 2
clinical trials will in
         fact be sufficient to support regulatory approval, as you state on
page 17, and that there
         can be no assurance that that the FDA will agree that such data will
be sufficient to
         support approval. Please also provide similar disclosure in your
summary risk factor
         section.
4.       We note your disclosure on page 25 that you have developed a
quantitative biomarker
         assay called the Tumor membrane Percent Score, which measures
expression levels of
         AXL and ROR2 on the tumor membrane and cytoplasm. Please provide a
brief
         explanation of the TmPS with respect to AXL and ROR2 and your use of
such predictive
         biomarkers in connection with your Phase 2 trials.
Our Pipeline, page 3

5.       We note that you have included in your pipeline table your bispecific
antibody programs,
         which appear to be pre-clinical. Given their materiality, please
expand your disclosure on
         pages 142-143 to provide a more fulsome discussion of these programs.
Alternatively,
         remove tany programs that are not currently material from your
pipeline table..
         Additionally, we note your disclosure that you have advanced two CAB
bispecific
         antibody product candidates into investigational new drug, or IND,
enabling studies in the
         second half of 2020. However, based on your pipeline table it appears
that all four
         programs are in IND enabling studies. Please revise the arrows to
appropriately reflect
         whether the programs are in discovery or the IND enabling studies
phase.
6.       We note your completed clinical trials relate to some, but not all of
the stated indications.
         Please explain your basis for depicting the development status with
respect to indications
         that have not been subject to clinical trials. For example, you
include Ovarian Cancer in
         the indication column, however, it does not appear that you have
initiated Phase 2 trials
         for BA3011 or BA3021 for the treatment of Ovarian Cancer.
Our Strengths, page 5
 Jay Short, Ph.D.
FirstName  LastNameJay Short, Ph.D.
BioAtla, Inc.
Comapany 3,
November    NameBioAtla,
              2020        Inc.
November
Page 3     3, 2020 Page 3
FirstName LastName
7.       We note your statement that your CAB technology is "validated by
robust clinical Phase
         I data from our two leading clinical programs." Additionally, your
disclosures beginning
         on page 111 indicate you a correlation between a proprietary biomarker
and antitumor
         activity and antitumor responses resulting from treatment. Generally,
the purpose Phase I
         trials are to measure collect data related to safety and dosing. To
the extent the trials you
         have conducted to date were designed to measure and collect data about
efficacy, please
         expand the description of the trials appearing in your business
section to quantify the
         number of participants, describe the trails endpoints, and summarize
all the results from
         the trials, including the p values. Alternatively, if the Phase I
trials were not designed to
         measure and collect information about efficacy relative to trial
endpoints, the statements
         about efficacy appear anecdotal and not appropriate to include in your
filing.
Risks associated with our business, page 6

8.       We note your disclosure on page 25 that if the AXL and ROR2 TmPS
scores prove to be a
         useful method for patient selection, you expect to incorporate the
specific diagnostic test
         into your registrational studies and partner with the appropriate
diagnostic provider to
         codevelop a companion diagnostic. Please add a bullet point explaining
that if use of any
         of your product candidates, such as BA3011 and BA3021, depends on a
companion
         diagnostic test then the FDA generally will require approval or
clearance of that
         companion diagnostic, at the same time that the FDA approves your
product candidates,
         as you state on page 25.
Implications of being an emerging growth company . . ., page 8

9.       Please provide us with copies of all written communications, as
defined in Rule 405 under
         the Securities Act, that you, or anyone authorized to do so on your
behalf, present to
         potential investors in reliance on Section 5(d) of the Securities Act,
whether or not they
         retain copies of the communications.
Risk Factors
Risks related to our common stock and this offering
We are an    emerging growth company    and   , page 70

10.      We note that you elected to take advantage of the extended transition
period for
         complying with new or revised accounting standards under Section
102(b)(1) of the JOBS
         Act. Please expand your risk factor to also state that, as a result of
this election, your
         financial statements may not be comparable to companies that comply
with public
         company effective dates.

Market, industry and other data, page 77

11.      We note your statement that industry publications and third-party
research, surveys and
         studies generally indicate that their information has been obtained
from sources believed
 Jay Short, Ph.D.
FirstName  LastNameJay Short, Ph.D.
BioAtla, Inc.
Comapany 3,
November    NameBioAtla,
              2020        Inc.
November
Page 4     3, 2020 Page 4
FirstName LastName
         to be reliable, although they do not guarantee the accuracy or
completeness of such
         information and that no independent source has verified such
assumptions. These
         statements appear to imply a disclaimer of responsibility for this
information in the
         registration statement. Please either delete this statement or
specifically state that you are
         liable for the information related to the market and industry data.
LLC Conversion, page 81

12.      We note that on July 10, 2020, the Company completed a corporate
reorganization. Please
         revise this section to clearly identify the Company's current
organizational structure.
         Include a diagram showing the Company and its subsidiaries and
indicate the respective
         capital structure (e.g. outstanding preferred stock and debt). We also
note that on page F-
         9, the Company has certain entities that it considers to be variable
interest entities. Please
         also include such entities.
Capitalization, page 82

13.      We noted that you have issued warrants in connection with certain
advisory services the
         fair value of which will be vest upon the completion of your public
offering. Please tell us
         why this compensation is not reflected as a pro-forma adjustment to
your accumulated
         deficit in the capitalization table.
Unaudited Pro Forma Condensed Consolidated Financial Information, page 89

14.      Following the Division, it appears that you have succeeded to the
remaining business
         of BioAtla, LLC that was not transferred to BA Holdings or Inversagen,
LLC and that you
         had no prior operations before succession. In this regard, please tell
us why audited
         financial statements and related disclosures of BioAtla, LLC as your
predecessor through
         the acquisition date are not required under Article 8 of Regulation
S-X through the date of
         acquisition along with pro forma financial information giving effect
to the "Division"
         under Article 11 of Regulation S-X.
Management   s Discussion and Analysis
Research and Development Expense, page 100

15.      Please disclose for each period presented the amount of research and
development
         expense incurred for each of your lead product candidates . To the
extent that you do not
         track expenses by product candidate, please disclose that fact and
explain why you do not
         maintain and evaluate research and development costs by project.
CAB leverages the low pH found in the tumor microenvironment, page 118

16.      Please expand your disclosure on page 118 to explain how to interpret
the color key
         located to the right of the tumor heat map graphic. Please also
explain how to interpret the
         the bullet point list of percentages to the right of the graphic.
BA3011 Phase 1 clinical trial, page 129
 Jay Short, Ph.D.
FirstName  LastNameJay Short, Ph.D.
BioAtla, Inc.
Comapany 3,
November    NameBioAtla,
              2020        Inc.
November
Page 5     3, 2020 Page 5
FirstName LastName

17.      We note your disclosure that based upon the overall safety and
response rates, the
         recommended Phase 2 dose is 1.8 mg/kg delivered every two weeks.
Please provide a
         description of how the phase 1 trial was conducted, including the
total number of patients
         enrolled, number of patients dosed in each cohort, the doses
administered within the
         range, and the number of patients with each type of solid tumor (e.g.
sarcoma, pancreatic,
         NSCLC). Please provide similar disclosure on page 135 with respect to
the BA 3021
         Phase 1 trial.
Safety, page 134

18.      Please revise to define on-target toxicity has been identified to date
in patients that
         received BA 3011 during the Phase 1 trial. Please provide similar
disclosure on page
         139 with respect to the BA3021 Phase 1 trial.
19.      We note that you include cross-trial comparisons regarding toxicities
observed for other
         non-CAB ADCs. Please disclose why you believe this comparison is
appropriate. If you
         provide disclosure regarding results from other trials, expand your
disclosure to provide
         the other information regarding these trials that would help an
investor make a meaningful
         comparison (e.g, number of patients, dosage, types cancers associated
with the patients
         enrolled, etc.)
20.      We note that you disclose the treatment related SAE's observed at the
anticipated Phase 2
         does level. Please describe all all SAE's observed in the Phase 1
trial for BA3011 and
         provide similar disclosure on page 139 with respect to the BA3021
Phase 1 trial.
Clinical development plans, page 135

21.      Please expand your discussion of the graphical illustration on page
135 to more clearly
         explain the Company's clinical development plan for BA 3011. Please
provide similar
         disclosure for the graphical illustration on page 140 with respect to
the Company's clinical
         development plan for BA3021.
Global Co-Development and Collaboration Agreement with BeiGene, Ltd., page 146

22.      Please revise your summary of the Global Co-Development and
Collaboration Agreement
         with BeiGene, Ltd. to disclose the term of the agreement and the
royalty term as well as a
         summary of the termination provisions under the agreement.
23.      We note that the Company has also entered into license agreements with
Himalaya
         Therapeutics SEZC, Inversagen, LLC, and F1 Oncology Inc. Please
include a summary of
         the material terms associated with each of these agreements. .
Intellectual Property, page 147

24.      We note your disclosure that as of September 1, 2020, you have 474
patents and patent
         applications with 254 issued, 7 allowed applications and 213 pending
applications. Please
 Jay Short, Ph.D.
BioAtla, Inc.
November 3, 2020
Page 6
         expand your disclosure to include the specific technologies to which
such patents relate,
         the type of patent protection, the patent expiration dates and the
applicable jurisdictions.
25.      We note your disclosure on page F-9 that the Company's VIE, HTKY,
holds intellectual
         property related to certain CAB Antibodies and is seeking a funding
partner to further
         develop this intellectual property. Please revise to clarify whether
any patents or other
         intellectual property are held by entities other than the Company.
Principal Stockholders, page 195

26.      Please revise to identify the natural persons with voting and/or
dispositive control of the
         shares held by Pfizer Ventures (US) LLP, Soleus Private Equity Fund I,
L.P., HBM
         Healthcare Investments (Cayman) Ltd. in footnotes 2, 3, and 4 to the
principal stockholder
         table.
Notes to Consolidated Financial Statements
1. Organization and Summary of Significant Accounting Policies
Organization, page F-7

27.      Please expand your discussion of BioAtla, LLC's (the Predecessor)
business prior to the
         "Division" and whether there are any continuing operations.
Variable Interest Entities, page F-8

28.      Please clearly identify all of the entities you consider to be a
Variable Interest Entity and
         provide the disclosures requiredby ASC 810-10-50, as applicable. For
example, you have
         identified Inversagen and F1 Oncology to be a variable interest
entity.
Exhibits

29.      Please file the promissory note evidencing the Company's PPP loan as
an exhibit to the
         registration statement, pursuant to Item 601(b)(10) of Regulation S-K.
Alternatively,
         please explain to us why such disclosure is not appropriate.
       You may contact Nudrat Salik at 202-551-3692 or Sasha Parikh at 202-3627
if you have
questions regarding comments on the financial statements and related matters.
Please contact
Deanna Virginio at 202-551-4530 or Suzanne Hayes at 202-551-3675 with any other
questions.



FirstName LastNameJay Short, Ph.D.                              Sincerely,
Comapany NameBioAtla, Inc.
                                                                Division of
Corporation Finance
November 3, 2020 Page 6                                         Office of Life
Sciences
FirstName LastName