United States securities and exchange commission logo





                             October 11, 2023

       Ali Kashani
       Chief Executive Officer
       Serve Robotics Inc.
       730 Broadway
       Redwood City, CA 94063

                                                        Re: Serve Robotics Inc.
                                                            Registration
Statement on Form S-1
                                                            Filed September 15,
2023
                                                            File No. 333-274547

       Dear Ali Kashani:

                                                        We have reviewed your
registration statement and have the following comments.

              Please respond to this letter by amending your registration
statement and providing the
       requested information. If you do not believe a comment applies to your
facts and circumstances
       or do not believe an amendment is appropriate, please tell us why in
your response.

              After reviewing any amendment to your registration statement and
the information you
       provide in response to this letter, we may have additional comments.

       Form S-1 Filed on September 15, 2023

       General

   1.                                                   We note that you refer
to your prior private placement as the    Offering,    for example on
                                                        the prospectus cover
and page 40. Please revise this definition to avoid confusion with the
                                                        current resale offering
and revise disclosure on page 57 that refers to subsequent closings
                                                        of the private
placement, or advise. In addition, revise references throughout your
                                                        registration statement
to "this merger" and to other information that appears unrelated to
                                                        the current offering,
such as projected financial information and forecasts. Update
                                                        information throughout
as of the most recent practicable date, such as your disclosure
                                                        regarding required
deposits at Silicon Valley Bank, recent developments on page 57, and
                                                        market and beneficial
ownership information.
   2.                                                   Revise your
registration statement to furnish the information required by Item 506 of
                                                        Regulation S-K related
to dilution under a separate heading or tell us why you believe you
                                                        are not required to do
so.
 Ali Kashani
FirstName LastNameAli  Kashani
Serve Robotics Inc.
Comapany
October 11,NameServe
            2023     Robotics Inc.
October
Page 2 11, 2023 Page 2
FirstName LastName
3.       We note that there has been a change in your independent registered
public accounting
         firm. As applicable, revise your registration statement to furnish the
information required
         by Item 304 of Regulation S-K or tell us why you believe you are not
required to do so.
Prospectus Summary, page 1

4.       Please conform or otherwise revise your disclosure to clarify whether
all, or which
         portion, of the shares issued in the share conversion are being
offered for resale. In this
         regard, we note the prospectus cover refers to 12,391,823 shares
(which excludes
         restricted stock held by the employees), page 3 describes the issuance
of up to 20,948,917
         shares and defines "Share Conversion" to include options and warrants,
and page 40 refers
         to shares "issued as a result of the Share Conversion." Please also
revise the final two
         bullet points on page 10 to clarify whether the referenced shares are
being registered and
         offered pursuant to this registration statement. We further note a
reference to    contractual
         restrictions on transfer    on page 3 and the description of lock-up
agreements on page
         112. Please revise to clarify how these relate to the shares being
offered for resale. File the
         registration rights agreement and lock-up agreements as exhibits to
your registration
         statement.
5.       We note disclosure on pages 1 and 2 that refers to your sidewalk
robots as    zero-
         emissions    and indicates you anticipate opportunities for reducing
greenhouse gas
         emissions. Please balance by more fully describing the emissions
related to your sidewalk
         robots, for instance in connection with their charging and
transportation to or from
         delivery locations. Additionally revise the environmental impacts
section on page 54 to
         describe the assumptions upon which your emissions reductions claims
are based. Please
         also balance disclosure on page 2 that your robots    can improve road
safety and make
         cities friendlier for pedestrians    by describing relevant safety
concerns, including
         information as to your security and safety track record.
Risk Factors, page 9

6.       Please revise your risk factor disclosure throughout so that risks you
have actually
         encountered are not presented as purely hypothetical. For example,
your risk factor "Our
         future revenue plans rely on partnering with third party delivery
platforms, brand sponsors
         and/or direct sales to merchants" indicates that you "may" be unable
to maximize robot
         utilization or realize branding placement revenues, but does not
discuss and provide
         specific details regarding your actual experience. Similar
shortcomings are noted in other
         risk factors including, without limitation, "Failure of our service
providers or disruptions
         to our outsourcing relationships might negatively impact our ability
to conduct our
         business" and "Our robots operate in public spaces and any errors
caused by human
         supervisors, network connectivity issues, third-party software, or
automation may
         adversely affect our commercial relationships."
7.       Please discuss whether supply chain disruptions materially affect your
outlook or business
         goals. Address, without limitation, the "industry-wide shortages"
referenced on page 49
 Ali Kashani
FirstName LastNameAli  Kashani
Serve Robotics Inc.
Comapany
October 11,NameServe
            2023     Robotics Inc.
October
Page 3 11, 2023 Page 3
FirstName LastName
         and "global supply shortage of electrical components, including
semiconductor chips and
         other hardware components essential to the manufacturing and
maintenance of our robots"
         referenced on page 59. Clearly describe whether supply shortages or
disruptions 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.
8.       We note your disclosure on page 13 stating that "[u]nfavorable changes
in interest rates,
         pricing of certain precious metals, utility rates, and foreign
currency exchange rates may
         adversely affect [y]our financial condition, liquidity, and results of
operations." Please
         expand your discussion of interest rates and changes in pricing of
certain precious metals
         to specifically identify their impact on your operations and how your
business has been
         affected. For example, describe whether changes in pricing of certain
metals used in
         manufacturing and maintenance of your delivery robots has recently
increased or is
         expected to increase and whether this affects your expansion goals.
9.       We note your disclosure on page 16 stating that you "are substantially
reliant on [y]our
         relationships with suppliers and service providers for the parts and
components in [y]our
         robots, as well as for the manufacture of [y]our robots." Please
describe the material terms
         of your arrangements with suppliers and service providers, and file
any material contract
         as an exhibit to your registration statement pursuant to Item
601(b)(10) of Regulation S-K.
         In this regard, we note your disclosure on page 49 regarding single or
limited source
         components, and your key suppliers NVIDIA and Ouster, Inc.
10.      We note your disclosure on page 22 stating that economic downturns,
including inflation,
         could materially adversely affect your results of operation. Please
update this risk factor if
         recent inflationary pressures have materially impacted your
operations. In this regard,
         identify the types of inflationary pressures you are facing and how
your business has been
         affected. In addition, please update your disclosure to identify
actions planned or taken, if
         any, to mitigate inflationary pressures.
We face risks related to natural disasters, health epidemics and other
outbreaks, which could
significantly disrupt our operations, page 24

11.      Please tailor your disclosure to describe the specific risks
applicable to your operations
         and products. Clarify, for example, whether your robots are dependent
upon internet
         and/or broadband connectivity to function, and how disruption thereof
would affect their
         operations. Discuss the need to charge robot batteries and the effect
that power outages
         would have. Describe and assess other risks that might adversely
affect your operations
         and results, such as theft or disablement of robots.
We, any manufacturing partners, and suppliers may rely on complex machinery,
page 24

12.      Please revise your disclosure which appears to refer to your
manufacturing facilities, for
         consistency with disclosure elsewhere that indicates you use
third-party manufacturers, for
         example on pages 16 and 25. Additionally ensure consistency with the
discussion of
         assembly and manufacturing in your business section, for example on
page 49.
 Ali Kashani
FirstName LastNameAli  Kashani
Serve Robotics Inc.
Comapany
October 11,NameServe
            2023     Robotics Inc.
October
Page 4 11, 2023 Page 4
FirstName LastName
Description of Our Business, page 42

13.      Please revise your disclosure to include a specific, clear description
of your current
         operations, status of product and service development, and markets and
deployment
         methods. Distinguish clearly your aspirations from your
accomplishments. Address,
         without limitation, each of the following items:

                Identify the current stage of development of your delivery
robots and describe your
              expected timeline for further development.
                Clearly describe the current automation level of your robots
and plans to increase
              automation.
                Revise your disclosure that "we plan to expand our fleet by
building and deploying
              hundreds of new robots in coming years after raising additional
rounds of financing,"
              by identifying the number of new robots and target year(s) for
production and
              deployment.
                Clearly disclose your current and anticipated production
capacity, including your
              expected timeline for ramping up, and distinguish between
in-house and third-party
              production.
                Clearly describe the steps involved in the research, design,
development,
              manufacturing, commercialization, and deployment of your delivery
robots,
              identifying material obstacles to overcome, such as safety
testing and regulatory
              approvals.
                Indicate which steps are expected to be completed with existing
funds, and which
              will require additional funding, consistent with your liquidity
disclosure elsewhere,
              including on page 20.
                Describe the current status of the Uber pilot program and the
commercial-scale
              agreement to deploy 2,000 robots across the United States
referenced on page 51.
                Clarify your business plans with respect to overseas operations
or international
              markets. In this regard, we note the risk factor references on
pages 26 and 29.
14.      Please revise your disclosure to describe your customers and the
nature of your
         contractual arrangements, clearly distinguishing between existing and
prospective
         customers and arrangements. In this regard, we note references on
pages 23 and 25 to
         purchases/sales or subscriptions, disclosure on page 22 that,
"Although we have engaged
         in ongoing dialogue with potential customers, we have no binding
commitments to
         purchase products and services," and the description of "Partnerships"
on page 51. Clarify
         which party owns the delivery robots, is responsible for maintenance
and repairs, bears the
         risk of loss or damage, and has branding or other applicable rights
pursuant to your
         various contractual arrangements. Describe any warranties and/or
indemnifications you
         provide in relation to your robots and their operations. Clarify which
of the unit costs
         described on page 52 are incurred by you or by your customers.
Describe the outcome of
         your pilot programs and whether these are expected to lead to
commercial contracts. Fully
         describe the material terms of your agreements with Uber and Seven-11,
including what
         platform-level integration entails and how revenue is generated.
 Ali Kashani
FirstName LastNameAli  Kashani
Serve Robotics Inc.
Comapany
October 11,NameServe
            2023     Robotics Inc.
October
Page 5 11, 2023 Page 5
FirstName LastName
Impact of Robot Delivery, page 44

15.      Please balance your disclosure in this section by describing
applicable limitations on robot
         operations, such as utilization rates, round-trip delivery times,
potential safety risks, and
         useful lifespan. More fully describe the extent of human involvement
with respect to your
         existing fleet, including by clarifying the role of human operators
and/or supervisors with
         respect to the operation of robots or specific use-scenarios. Describe
robot storage,
         charging requirements, transportation to/from or between deployment
locations, and other
         relevant logistics considerations.
Competition, page 52

16.      We note your disclosure that, "Similar to Serve, Coco focuses on urban
delivery but does
         not have a marketplace integration with a major third-party delivery
platform,
         significantly constraining its ability to scale." Please revise to
more fully discuss this
         difference between Serve and Coco, including whether and how
marketplace
         integration affects the availability of and fees charged for your
respective delivery
         services. If delivery fees are standardized (i.e., as between
merchants and delivery
         platforms, or as between the fees charged for human or robot delivery
by a given delivery
         platform), then revise disclosure on page 54 that indicates robots
reduce delivery costs
         accordingly, or advise.
Government Regulations, page 54

17.      Please revise your disclosure to discuss the government regulations to
which your
         business operations are subject. Refer to Items 101(h)(4)(viii), (ix),
and (xi) of Regulation
         S-K for guidance. In this regard, we note references on pages 16 and
17 to "requisite
         permits" from municipalities, Federal Communications Commission
regulations,
         and Department of Transportation requirements. Please also clarify
whether you are
         subject to food safety and handling requirements.
Intellectual Property, page 54

18.      We note your disclosure stating that you "have applied for 18 patents
in China, the United
         States, Canada, and through the Patent Cooperation Treaty." Please
expand this disclosure
         to state how many patents you have applied for in each country
including how many have
         been granted in each country.
Certain Relationships and Related Party Transactions
Secured Subordinated Promissory Note with Ali Kashani, page 87

19.      With regard to the amount involved in this transaction, during the
period for which
         disclosure is provided, please revise this section to provide
disclosure of the largest
         aggregate amount of principal outstanding, the amount of principal
paid, and the amount
         of interest and fees paid. See Item 404(a)(5) of Regulation S-K.
 Ali Kashani
FirstName LastNameAli  Kashani
Serve Robotics Inc.
Comapany
October 11,NameServe
            2023     Robotics Inc.
October
Page 6 11, 2023 Page 6
FirstName LastName
Determination of Offering Price, page 93

20.      Please revise this section to include disclosure that describe the
various factors considered
         in determining the initial offering price. See Item 505(a) of
Regulation S-K.
Plan of Distribution, page 104

21.      Please revise this section to identify the fixed price at which shares
may be offered for
         resale and to clearly state that the shares may not be offered
at-the-market until they are
         quoted on the OTCQB, consistent with disclosure elsewhere.
Unaudited Pro Forma Combined Financial Information, page F-43

22.      We note that you still include references to the legacy pro forma
guidance regarding
         adjusting for events that are directly attributable to the
transaction, factually supportable,
         and expected to have a continuing impact. Please revise your pro forma
financial
         statements to fully comply with Article 11 of Regulation S-X as
amended and to remove
         any references to the legacy pro forma guidance. In doing so, confirm
that your pro forma
         financial statements include all necessary transaction accounting
adjustments, including
         those that are not expected to have a continuing impact.
Unaudited Pro Forma Combined Balance Sheets , page F-44

23.      Please revise your pro forma combined balance sheet to show the number
of preferred
         stock and common stock authorized, issued and outstanding on both a
historical and pro
         forma basis.
Unaudited Pro Forma Combined Statements of Operations, page F-45

24.      Please revise your pro forma combined statements of operations for the
six-months ended
         June 30, 2023 and the year ended December 31, 2022 to include the
historical weighted
         average common shares outstanding     basic and diluted, and net loss
per common share
         basic and diluted for Serve Robotics. Refer to Rule 11-02(a)(9)(i) of
Regulation S-X.
Notes to Unaudited Pro Forma Financial Statements , page F-47

25.      With regards to footnote (i), please provide a reconciliation between
the historical and pro
         forma weighted average shares used in computing basic and diluted EPS.
Please also
         disclose any shares not included for anti-dilution reasons.
26.      We note that pro forma adjustment (a) records the proceeds of
$3,001,500, less the
         commissions paid to the Bridge Brokers of $239,400, pursuant to the
April 2023 private
         placement offering of 10% senior subordinated secured convertible
notes ("Bridge
         Notes") to accredited investors. In light of the fact that this
offering took place during the
         period of the historical balance sheet, appears to be disclosed in
Note 6 to the interim
         financial statements, and is included on the balance sheet as of June
30, 2023, as
         convertible note payable, it does not appear to be an appropriate pro
forma adjustment to
 Ali Kashani
Serve Robotics Inc.
October 11, 2023
Page 7
         increase cash for this amount. Also, in this regard, it appears that
there may need to be a
         pro forma adjustment related to the conversion of the Bridge Notes
which are recorded as
         liabilities as of June 30, 2023, to shares of common stock. Please
revise or advise
         accordingly.
Part II
Item 15. Recent Sales of Securities, page II-I

27.      We note the incorporation by reference of information regarding
certain securities. Please
         revise to provide the information required by Item 701 of Regulation
S-K with respect to
         all recent sales of securities.
Exhibit Index
Exhibit 23 - Consent of Independent Registered Public Accounting Firm, page
II-6

28.      Please revise to include a currently dated consent of your prior
auditor, Raich Ende Malter
         & Co, to the inclusion of their report dated March 29, 2022, relating
to the financial
         statements of Patricia Acquisition Corp as of and for the year ended
December 31, 2021.
        We remind you that the company and its management are responsible for
the accuracy
and adequacy of their disclosures, notwithstanding any review, comments, action
or absence of
action by the staff.

       Refer to Rules 460 and 461 regarding requests for acceleration. Please
allow adequate
time for us to review any amendment prior to the requested effective date of
the registration
statement.

       Please contact Ernest Greene at 202-551-3733 or Claire Erlanger at
202-551-3301 if you
have questions regarding comments on the financial statements and related
matters. Please
contact Eranga Dias at 202-551-8107 or Jennifer Angelini at 202-551-3047 with
any other
questions.



FirstName LastNameAli Kashani                                  Sincerely,
Comapany NameServe Robotics Inc.
                                                               Division of
Corporation Finance
October 11, 2023 Page 7                                        Office of
Manufacturing
FirstName LastName