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                          June 24, 2021

       Rajiv Shukla
       Chairman and Chief Executive Officer
       Alpha Healthcare Acquisition Corp.
       1177 Avenue of the Americas
       5th Floor
       New York, NY 10036

                                                        Re: Alpha Healthcare
Acquisition Corp.
                                                            Amendment No. 1 to
Registration Statement on Form S-4
                                                            Filed June 14,
20021
                                                            File No. 333-254597

       Dear Mr. Shukla:

             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 April
22, 2021 letter.

       Amendment No. 1 to Registration Statement on Form S-1, Filed June 14,
2021

       Risk Factors
       Risks Related to Humacyte's Business and Industry
       Risks Related to the Development and Commercialization of Our Product
Candidates
       If SAEs occur or other unacceptable side effects are identified in our
HAV's we may need to
       delay, abandon or limit development..., page 27

   1.                                                   We note your response
to our prior comment number 7 and the revisions to page 29,
                                                        where you state that
the most frequently reported SAEs related to the HAV for
                                                        hemodialysis access
were vascular graft thrombosis, vascular graft complications, and
                                                        venous stenosis, and
the most frequently reported SAEs related to the HAV for PAD were
 Rajiv Shukla
FirstName  LastNameRajiv  Shukla
Alpha Healthcare Acquisition Corp.
Comapany
June       NameAlpha Healthcare Acquisition Corp.
     24, 2021
June 24,
Page 2 2021 Page 2
FirstName LastName
         vascular graft complication and graft thrombosis. Please disclose all
SAEs, rather then the
         most frequently reported SAEs and disclose the number of occurrences.
Please provide
         similar disclosure with respect to the SAEs experienced in your V006
trial where you
         mention severe infections on page 184.
Opinion of AHAC's Financial Advisor
Certain Projected Financial Information, page 87

2.       We have reviewed your revised disclosure in response to prior comment
17 and have the
         following additional comments:
             As previously requested, with specific reference to the
significant length of the
              projections and Humacyte   s current status as a clinical stage
company with limited
              operations and no approved products, please expand your
disclosures to address how
              management and the Board determined the reasonableness of the
projections.
              Specifically, address the reliability of the projections related
to the later years
              presented;
             Identify the assumptions and estimates underlying the four bullet
points on page 87;
             Expand your disclosures to provide additional information
surrounding the specific
              assumptions and estimates underlying the forecasted information
on page 88 to
              provide investors with sufficient information to evaluate the
projected financial
              information and its reasonableness. For example:
                o   Identify the market and geographical regions for the
revenue projections and the
                    specific market growth rates and projected market rate
penetrations to help
                    provide additional insight into the range in these rates
underlying the revenue
                    projections. Explain how the market rate growth and market
rate penetrations
                    were determined. Explain the basis for assuming growth
rates over such an
                    extended period of time;
                o   Explain to us the extent you have considered providing
separate projected
                    financial information for each group of product candidates
based on their stage
                    of development given the significant differences in
probability rates;
                o   Explain how projected cost of goods sold were determined.
In this regard,
                    while you indicate they were based on current production
costs, we note that
                    you have not yet manufactured commercial products and the
manufacture of
                    your product is complex;
                o   Explain what you mean by       product candidates projected
to be developed
                    during the time frame of the projections as well as other
research programs.
                    Are these yet to be identified projects and programs? If
so, explain in more
                    detail the assumptions underlying these projected costs;
and
                o   Please explain in more detail the specific assumptions
underlying the sales and
                    marketing and general and administrative expenses; and
             Relabel the line item "net income" to "unlevered net income".
Disclose the amount
              of interest expense excluded from such measure for each period
presented or if such
              amounts cannot be estimated, explain why not.
 Rajiv Shukla
Alpha Healthcare Acquisition Corp.
June 24, 2021
Page 3
Information about AHAC, page 146

3.       We note your reference to backstop agreements that you may enter into
on page 153.
         Please revise to state whether you have any present intent to enter
backstop agreements
         and, if so, describe purpose of such agreements and likely parties if
known.
Information about Humacyte
Our Clinical and Pre-Clinical Stage Product Pipeline, page 173

4.       We note your response to our prior comment number 28. Please remove
the sentence
         added directly below the table comparing your product to ePTFE and
Procol on page 187
         or revise it to remove the comparison given these are not head-to-head
studies.
         Additionally, we note the new disclosure on pages 181-182 regarding
your V001 and
         V003 trials, the disclosure on pages 183-186 regarding your V0006
trial, and the last
         sentence on page 186 and related graphic on page 187 regarding your
V007 trial, in each
         case, comparing either your technology or, with respect to the
disclosure on pages 183-
         186, the ePTFE results in your V006 trial, to published studies.
Because such data was not
         based on head to head studies, please revise your disclosure here and
comparisons
         elsewhere to eliminate the comparison. You may retain any comparison
based on the
         results of the head-to-head comparison conducted in your V006 trial.
Proposed Indication #2: Use of the HAV for Arteriovenous Access for
Hemodialysis, page 179

5.       Please provide p-values for the results of your V006 and V004 trials,
mentioned on pages
         182-186 and 189 or explain why you are unable to provide such values.
6.       We note your reference on page 183 concerning the safety advantage of
the HAV over
         ePTFE. Please revise this statement to remove implication that your
product candidates
         are safe, including as compared to an approved device, as this
determination is solely
         within the authority of the FDA and comparable regulatory bodies.
Proposed Indication #3: Peripheral Arterial Disease, page 187

7.       We note your response to our prior comment number 29. Please revise
page 188 to
         quantify the participant results that were excluded due to death and
clarify whether such
         deaths were deemed to be related to your product candidates.
Management of the Combined Company, page 271
FirstName LastNameRajiv Shukla
8.     Please provide the information required by Item 18(a)(7) of Form S-4 for
Todd Pope and a
Comapany    NameAlpha
       file his consent asHealthcare Acquisition
                           appropriate pursuant toCorp.
                                                   Rule 438 of Regulation C
under the Securities
       Act.
June 24,  2021 Page 3
FirstName LastName
 Rajiv Shukla
FirstName  LastNameRajiv  Shukla
Alpha Healthcare Acquisition Corp.
Comapany
June       NameAlpha Healthcare Acquisition Corp.
     24, 2021
June 24,
Page 4 2021 Page 4
FirstName LastName
Financial Statements of Humacyte, Inc.
14. Subsequent Events, page F-71

9.       We have reviewed your revised disclosure in response to prior comment
36. Please
         update your disclosure on page 228 to disclose the fair value of your
common stock
         underlying your January 2021 stock option grants and how such fair
value was it was
         determined. In addition, tell us how this fair value compares to the
Equity Value
         Reference Range as determined by AHAC's Financial Advisor and address
the reasons
         underlying any differences.
       You may contact Michael Fay at 202-551-3812 or Jeanne Baker at
202-551-3691 if you
have questions regarding comments on the financial statements and related
matters. Please
contact Margaret Schwartz at 202-551-7153 or Suzanne Hayes at 202-551-3675 with
any other
questions.



                                                           Sincerely,

                                                           Division of
Corporation Finance
                                                           Office of Life
Sciences
cc:      Laurie A. Burlingame, Esq.