Unassociated Document
 
 
 

March 21, 2008

U.S. Securities and Exchange Commission
100 F. Street, NE
Washington, DC 20549

Re:
DealerAdvance, Inc.
 
Request for Withdrawal of Post-Effective Amendment to Registration
 
Statement filed on March 6, 2008 (at 6:12am)
 
File No. 333-54822
 
Ladies and Gentleman:
 
We are counsel to DealerAdvance, Inc. (the “Company”). On behalf of the Company, we hereby request the withdrawal of the above-referenced Post-Effective Amendment pursuant to Rule 477(a) under the Securities Act of 1933, as amended.

The Post-Effective Amendment was inadvertently filed as a post-effective amendment to a registration statement (Pos Am) by Vintage Filings, the Company’s edgarizing service. The Post-Effective Amendment should have been filed as a Form S-8 post-effective amendment (S-8 Pos). This was called to our attention in a recent telephone call from the staff. We have refiled the Post-Effective Amendment accordingly.
 
Please call the undersigned if there are questions or comments. Thank you for your assistance in the matter.
 

 
Very Truly Yours,
   
 
Guardi & Associates
   
 
   
 
Noel Guardi, Esq.
   
/neg
cc: DealerAdvance, Inc.