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BERMAN WOLFE & RENNERT
PROFESSIONAL ASSOCIATION * ATTORNEYS AND COUNSELORS
September 12, 1997
VIA TELEFAX (202) 942-9516
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Mr. Tony Stanco
U.S. Securities and Exchange Commission
Division of Corporation Finance
450 Fifth Street, N.W.
Washington, D.C. 20549
Re: Request for Withdrawal of DIDAX Inc.'s Form 8-A
Dear Mr. Stanco:
DIDAX Inc. (the "Company") filed with the Securities and Exchange
Commission (the "Commission") its Amendment No. 3 to its Registration Statement
on Form SB-2 on September 3, 1997. The Company also filed with the Commission
its Registration Statement on Form 8-A to register under the Securities and
Exchange Act of 1934 on July 16, 1997. The Company's Form 8-A will automatically
become effective unless it is withdrawn. However, the Company is not likely to
seek to accelerate the effectiveness of its Form SB-2 prior to the expiration
of the 60 day period in which the Company will automatically become registered
under the Securities and Exchange Act of 1934 by reason of its Form 8-A filing.
As such, this letter will serve as the Company's formal request to withdraw its
Form 8-A.
We understand that upon receiving the Company's request for withdrawal
of its Form 8-A, an order of withdrawal will be prepared by the staff and would
greatly appreciate receiving a copy of it for our file.
If there is anything further that is required in order to effect the
withdrawal of the Company's Form 8-A, please contact me as soon as possible.
Very truly yours,
Charles J. Rennert
cc: Gary Struzik