<SEC-DOCUMENT>0001004878-09-000157.txt : 20110331
<SEC-HEADER>0001004878-09-000157.hdr.sgml : 20110331
<ACCEPTANCE-DATETIME>20090807182420
<PRIVATE-TO-PUBLIC>
ACCESSION NUMBER:		0001004878-09-000157
CONFORMED SUBMISSION TYPE:	CORRESP
PUBLIC DOCUMENT COUNT:		1
FILED AS OF DATE:		20090807

FILER:

	COMPANY DATA:	
		COMPANY CONFORMED NAME:			FLEXIBLE SOLUTIONS INTERNATIONAL INC
		CENTRAL INDEX KEY:			0001069394
		STANDARD INDUSTRIAL CLASSIFICATION:	MISCELLANEOUS CHEMICAL PRODUCTS [2890]
		IRS NUMBER:				911922863
		STATE OF INCORPORATION:			NV
		FISCAL YEAR END:			1231

	FILING VALUES:
		FORM TYPE:		CORRESP

	BUSINESS ADDRESS:	
		STREET 1:		2614 QUEENSWOOD DR
		CITY:			VICTORIA B C V8N 1X5
		STATE:			A1
		BUSINESS PHONE:		2504779969

	MAIL ADDRESS:	
		STREET 1:		2614 QUEENSWOOD DR
		CITY:			VICTORIA BC CANADA
		STATE:			A1
</SEC-HEADER>
<DOCUMENT>
<TYPE>CORRESP
<SEQUENCE>1
<FILENAME>filename1.txt
<TEXT>
                               HART & TRINEN, LLP
                                ATTORNEYS AT LAW
                             1624 Washington Street
                                Denver, CO 80203
William T. Hart, P.C.               ________          Email:  harttrinen@aol.com
Donald T. Trinen                                      Facsimile:  (303) 839-5414
                                 (303) 839-0061

                                 August 7, 2009

Jessica Kane
Securities and Exchange Commission
100 F Street, NE
Washington, DC 20549


      Re:   Flexible Solutions International, Inc.
            Registration Statement on Form S-3
            File No. 333-158962


      This letter provides the Company's responses to the comments received from
the Staff by letter dated May 29, 2009. The paragraph numbers in this letter
correspond with the numbered paragraphs in the Staff's comment letter. The
number under the "Page Number" column indicates the page number in the
registration statement where the response to the comment can be found.

                                                                         Page
                                                                         ----

      1. The Company is eligible to use Form S-3 since the 8-K
reports which are the subject of this comment were not "required"
to be filed. Disclosure of information under Item 8.01 of the
Form S-K is optional unless the report is used to disclose
non-public information required to be disclosed by Regulation
FD. You will note under General Instruction B.1 to the form
that there is no time frame within which an 8-K disclosing
information under Item. 8.01 is required to be filed unless it
is filed solely to satisfy the Company's obligations under
Regulation FD. The 8-K reports referred to in the Staff's
letter were not filed to satisfy the Company's obligations
under Regulation FD since:

            a. The 8-K reports disclosed information in press
      releases which were previously issued by the Company;

            b. The information in the press releases were not
      disclosed selectively to the persons specified in Rule
      100(b)(1) of Regulation FD; and

            c. The press releases were disseminated in a fashion
      that met the requirements of Rule 101(e)(2) of Regulation FD.
                                                                         N/A

<PAGE>


      2. Comment complied with.                                           11

      3. Comment complied with.                                           12

      4. Comment complied with.                                           12

      5. Comment complied with.                                         9, 10

      6. Comment complied with.                                        15, 16

      7. Comment complied with.                                           14

      8. Comment complied with.                                     Part II, pp
                                                                        2, 3

      9. Comment complied with.                                      Signature
                                                                        page.

     10. Comment complied with.                                    Exhibit 23(a)

     11. Comment complied with.                                    10-K, P. 18

     12. Comment complied with.                                     10-K, F-1

     13. Comment complied with.                                     10-K
                                                                    Exhibit 31.1
                                                                    Exhibit 31.2

       If you should have any questions concerning the foregoing, please do not
hesitate to contact the undersigned.

                                    Very Truly Yours,

                                    HART & TRINEN, L.L.P.




                                    William T. Hart

WTH:tg



</TEXT>
</DOCUMENT>
</SEC-DOCUMENT>
