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                                                            March 12, 2025

Walt Bruns
Chief Financial Officer
Sasol Limited
50 Katherine Street
Sandton
2196 Johannesburg
South Africa

        Re: Sasol Limited
            Form 20-F for the Fiscal Year ended June 30, 2024
            Filed September 6, 2024
            File No. 001-31615
Dear Walt Bruns:

       We have reviewed your filing and have the following comments.

       Please respond to this letter within ten business days by providing the
requested
information or advise us as soon as possible when you will respond. If you do
not believe a
comment applies to your facts and circumstances, please tell us why in your
response.

       After reviewing your response to this letter, we may have additional
comments.

Form 20-F for the Fiscal Year ended June 30, 2024
Property, plants and equipment, page 47

1.     Please expand your disclosure adjacent to the mineral reserve table to
include the
       price selected and used by the qualified person in estimating the
mineral reserves to
       comply with Item 1303(b)(3)(iv) of Regulation S-K. Please also clarify
the reasons
       that you do not report any related estimates of mineral resources.

2.     Please disclose whether the qualified person who prepared the technical
report
       summary is an employee of the company and if not then also name the
employer of
       the qualified person and describe any affiliations with the company or
other parties
       having an interest in the mines to comply with Item 1302(b)(5) of
Regulation S-K.
 March 12, 2025
Page 2

3.     Please clarify whether any of the individual properties would be
considered material,
       following the guidance in Item 1301(b) and (c) of Regulation S-K, and
for any that are
       material, address the disclosure guidance in Item 1304 of Regulation
S-K.

       Alternatively, if you do not regard any of your mines to be individually
material,
       please explain to us how you formulated the view, considering the extent
of
       integration and utility of the mining operations to your other business
segments.

Exhibits

4.     Given that you filed one technical report summary having reserve
information about
       all of your coal properties, it appears that you regard the mines to be
collectively
       material but not individually material, relative to the guidance in Item
1302(b)(1) of
       Regulation S-K. Please clarify whether this is consistent with your
assessment.

5.     The current technical report summary does not appear to include all of
the information
       prescribed by Item 601(b)(96)(iii)(B) of Regulation S-K. We have
identified the
       various content topics (and corresponding subparagraph numbers) for
which there
       appear to be substantive deficiencies in the following points.

       Please discuss these requirements with the qualified person(s) and
arrange to obtain
       and file a revised technical report summary that provides all of the
required content.
       Please also ensure that the cover of the report includes the effective
date and the
       names of the mine(s) or complex covered by the report.

             Accessibility, climate, local resources, infrastructure and
physiography
           (subparagraph 4)
             History of mining operations on the property (subparagraph 5)
             Mineral resource estimates (subparagraph 11)
             Mineral reserve estimates (subparagraph 12)
             Mining methods (subparagraph 13)
             Processing and recovery methods (subparagraph 14)
             Capital and operating costs (subparagraph 18)
             Economic analysis (subparagraph 19)

       With regard to the last point above, the analysis should generally
include a schedule
       of future cash flows based on an annual production schedule, showing
production,
       revenue, operating costs, royalties, taxes, and capital costs for each
year for the life of
       the project, also showing the cash flows discounted using an appropriate
rate.


        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.
 March 12, 2025
Page 3

       Please contact John Coleman at 202-551-3610 or Karl Hiller at
202-551-3686 if you
have questions regarding comments.



                                                         Sincerely,

                                                         Division of
Corporation Finance
                                                         Office of Energy &
Transportation
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