United States securities and exchange commission logo





                              June 16, 2021

       Scott Leonard
       Chief Executive Officer and Director
       Sustainable Opportunities Acquisition Corp.
       1601 Bryan Street, Suite 4141
       Dallas, Texas 75201

                                                        Re: Sustainable
Opportunities Acquisition Corp.
                                                            Amendment No. 1
Registration Statement on Form S-4
                                                            Filed May 27, 2021
                                                            File No. 333-255118

       Dear Mr. Leonard:

             We have reviewed your amended 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 amending your registration
statement and providing the
       requested information. 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 any amendment to your registration statement and
the information you
       provide in response to these comments, we may have additional comments.
Unless we note
       otherwise, our references to prior comments are to comments in our May
5, 2021 letter.

       Amendment No. 1 to Registration Statement on Form S-4

       Mineral Resource Estimate, page 148

   1.                                                   We note your response
to comment 10 stating you included additional general disclosure
                                                        in your filing. Please
revise your filing to include the cutoff grade calculation using your
                                                        specific costs and the
annual km2 per year processed.
       Economic Analysis, page 153

   2.                                                   We note your disclosure
of capital and operating costs based upon the NORI initial
                                                        assessment. Capital and
operating cost estimates in an initial assessment must have an
                                                        accuracy level of at
least plus or minus 50% and a contingency level of no greater that
                                                        25% pursuant to Item
1302(d)(4)(i) of Regulation S-K. Please revise to include the
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SustainableLastNameScott   Leonard Corp.
            Opportunities Acquisition
Comapany
June       NameSustainable Opportunities Acquisition Corp.
     16, 2021
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         accuracy level and contingency level of your initial assessment.
Exhibit 96.1
Cut Off Grade, page 160

3.       We note your response to comment 25 stating you included additional
general disclosure
         in your filing. Please revise your filing to include the calculation
of your cutoff grade
         using your specific costs and disclose the annual km2 per year
processed. In addition
         please add to your LOM Production Summary tables, the annual area
processed or swept
         consistent with your text, operational metrics, and lease area.
Exhibit 96.2
Cut-off grade, page 175

4.       We note your response to comment 28 stating you included additional
general disclosure
         in your filing. Please revise your filing to include the cutoff grade
calculation using the
         specific costs and the annual km2 per year processed.
TOML Acquisition, page 187

5.       We note your disclosure, the TOML Exploration Contract is in the
development stage
         which is defined by SK 1300 as a mineral property with reserves. At
page 128, you
         describe DeepGreen is in the prefeasibility study phase, which also
may imply you have
         determined reserves. Please review your usage of the terms stage and
phase throughout
         you filing and modify for clarity as necessary. For example, the
statement on page 128
         could be clarified to state DeepGreen is an exploration stage issuer
with a completed
         initial assessment that is currently working towards a prefeasibility
study.
Amendment No. 1 to Registration Statement on Form S-4

Questions and Answers
Q: What Interests Do SOAC's Current Officers and Directors Have in the Business
Combination,
page 11

6.       We note your revisions in response to comment 4. Please also revise to
quantify
         the current value of securities held, loans extended, fees due, and
out-of-pocket expenses
         for which the sponsor and its affiliates are awaiting reimbursement.
Provide similar
         disclosure for the company   s officers and directors, if material.
Neither the SOAC Board nor any committee thereof obtained a third-party
valuation, page 65

7.       We note your response to comment 17. Please revise this risk factor to
highlight that
         DeepGreen's valuation was based on projected EBITDA in 2027 which was
substantively
         derived from an initial assessment which contained various assumptions
and limitations.
         Additionally, please disclose here or in a new risk factor the
material risks to unaffiliated
         investors presented by taking DeepGreen public through a merger rather
than an
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SustainableLastNameScott   Leonard Corp.
            Opportunities Acquisition
Comapany
June       NameSustainable Opportunities Acquisition Corp.
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         underwritten offering. These risks could include the absence of due
diligence conducted
         by an underwriter that would be subject to liability for any material
misstatements or
         omissions in a registration statement.
Unaudited Pro Forma Condensed Combined Balance Sheet, page 86

8.       The historical equity balances of SOAC as of March 31, 2021 are
consistent with the
         balances presented in SOAC's Form 10-Q filed May, 25, 2021, however
they are not
         consistent with the balances presented in the condensed balance sheet
as of March 31,
         2021 on page F-26. Please explain this discrepancy or revise the
disclosures throughout
         the filing, as needed.
Unaudited Pro Forma Condensed Combined Balance Sheet Adjustments, page 90

9.       We note your adjustments 2(k) and 3(b) related to the first two
milestone payments in
         amendment #3 to your PMTS agreement with Allseas. We understand that
the first
         milestone requires confirmation from Allseas of placing orders of
certain equipment and
         demonstrating certain progress on construction of the collector
vehicle and the second
         milestone requires confirmation of successful collection of the North
Sea test. Please tell
         us if these milestone events have occurred or if you have assessed
them as probable
         to occur, providing details sufficient to understand the status of
meeting these milestones
         to support your pro forma adjustments.
Environmental Market Opportunity, page 124

10.      We note your response to comment 7. In terms of the ESG footprints of
metals production
         from nodules, please address here and in the Risk Factors section the
limitations and
         uncertainties of calculating the relative impacts and benefits from
land-based and deep-sea
         based mining, such as those that are discussed in your white paper
"Where Should Metals
         for the Green Transition Come From?" available at your website. For
example, describe
         the most significant impact of nodule collection, including the
biodiversity impacts, and
         the related assumptions that are suggested in your white paper.
11.      Revise to further explain and provide supplemental support for your
claim that "as
         compared to land-based sources, polymetallic nodule collection has
many advantages that
         allow DeepGreen to reduce the potential environmental and social
impact of primary
         metal production, including the potential for up to a 90% reduction in
climate change
         impacts." Please also disclose any material assumptions which underlie
this statement.
Key Trends, Opportunities and Uncertainties, page 177

12.      We note your response to comment 7. Please revise this section to
enhance your
         disclosure to describe any known trends and uncertainties related to
DeepGreen's
         operations which might be impacted by environmental, climate and other
governmental
         regulations for deep sea mineral exploration and collection
activities.
 Scott Leonard
Sustainable Opportunities Acquisition Corp.
June 16, 2021
Page 4
Beneficial Ownership of Securities, page 198

13.   Please disclose the person(s) who directly or indirectly exercise sole or
shared voting or
      investment control over the shares held by Ramas Energy Opportunities I,
L.P. Refer to
      Item 403 of Regulation S-K.

Background to the Business Combination, page 219

14.   We note your response to comment 19. Please revise to expand your
disclosure to
      describe the alternative companies and transactions, and disclose the
reasons why you did
      not pursue each alternative.
Certain DeepGreen Projected Financial Information , page 228

15.   We note your revised disclosure in response to comment 21. You revised to
disclose that
      the DeepGreen unaudited prospective financial information was based on an
economic
      analysis included in the NORI Technical Report Summary filed as Exhibit
96.1 prepared
      by AMC. Please also revise to disclose the assumptions underlying the
projections for the
      accuracy and contingency levels determined by the qualified person in the
NORI
      Technical Report. Please also disclose here the assumption that the date
of the investment
      decision (decision to mine) on the NORI Contract Area is expected to be
on or
      around June 30, 2023.
       You may contact Myra Moosariparambil, Staff Accountant, at (202)
551-3796 or Craig
Arakawa, Accounting Branch Chief, at (202) 551-3650 if you have questions
regarding
comments on the financial statements and related matters. Please contact George
K. Schuler at
(202) 551-3718 for engineering related questions. Please contact Kevin
Dougherty, Staff
Attorney, at (202) 551-3271 or Loan Lauren Nguyen, Legal Branch Chief, at (202)
551-3642
with any other questions



                                                            Sincerely,
FirstName LastNameScott Leonard
                                                      Division of Corporation
Finance
Comapany NameSustainable Opportunities Acquisition Corp.
                                                      Office of Energy &
Transportation
June 16, 2021 Page 4
cc:       Julian Seiguer
FirstName LastName