<DOCUMENT>
<TYPE>TEXT-EXTRACT
<SEQUENCE>2
<FILENAME>filename2.txt
<TEXT>
United States securities and exchange commission logo





                            July 15, 2020

       Paul W. Hodge, Jr.
       President and Chief Executive Officer
       Laird Superfood, Inc.
       275 W. Lundgren Mill Drive
       Sisters, Oregon 97759

                                                        Re: Laird Superfood,
Inc.
                                                            Amendment No. 1 to
                                                            Draft Registration
Statement on Form S-1
                                                            Submitted July 2,
2020
                                                            CIK No. 1650696

       Dear Mr. Hodge:

             We have reviewed your amended 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.

       Form DRS/A submitted July 2, 2020

       General

   1.                                                   We note your disclosure
on page 44 that your exclusive forum provision does not apply
                                                        actions arising under
the Exchange Act. Please ensure that the exclusive forum provision
                                                        in your Amended and
Restated Certificate of Incorporation states this clearly, or tell us
                                                        how you will inform
investors in future filings that the provision does not apply actions
                                                        arising under the
Exchange Act.
 Paul W. Hodge, Jr.
FirstName  LastNamePaul W. Hodge, Jr.
Laird Superfood, Inc.
Comapany
July       NameLaird Superfood, Inc.
     15, 2020
July 15,
Page  2 2020 Page 2
FirstName LastName
       You may contact Heather Clark, Staff Accountant, at (202) 551-3624 or
Melissa
Raminpour, Accounting Branch Chief, at (202) 551-3379 if you have questions
regarding
comments on the financial statements and related matters. Please contact Sergio
Chinos, Staff
Attorney, at (202) 551-7844 or Erin Purnell, Staff Attorney, at (202) 551-3454
with any other
questions.



                                                           Sincerely,

                                                           Division of
Corporation Finance
                                                           Office of
Manufacturing
cc:      David Crandall
</TEXT>
</DOCUMENT>
