SoPac Cellular Solutions Inc.
                           4438 Vesper Avenue, Suite 2
                             Sherman Oaks, CA 91403
                     Phone: (949)355-4559 Fax: (309)423-7471


November 4, 2008

United States Securities and Exchange Commission
Division of Corporation Finance
100 F Street N.E.
Washington D.C. 20002

Re: SoPac Cellular Solutions Inc.
    Request to Withdraw Post-Effective  Registration Statement on Form SB-2 (AW)
    SEC File Number 333-138217

Ladies and Gentlemen:

Pursuant to Rule 477  promulgated  under the  Securities Act of 1933, as amended
(the "Securities Act"), SoPac Cellular Solutions Inc. (the " Registrant") hereby
requests immediate  withdrawal of its Post-Effective  Registration  Statement on
Form  SB-2  (File No.  333-138217),  which was  filed  with the  Securities  and
Exchange  Commission  (the  "Commission")  on November 22, 2006,  along with any
amendments and exhibits. No securities were sold pursuant to this Post-Effective
Registration Statement on Form SB-2.

The  Registrant  believes  that  withdrawal of the  Post-Effective  Registration
Statement  is  consistent  with  the  public  interest  and  the  protection  of
investors,  as  contemplated  by Rule  477(a)  under  the  Securities  Act.  The
Registrant is withdrawing the  Post-Effective  Registration  Statement as it was
not necessary that it be filed since the additional information included was not
material.  Please  note that the  Post-Effective  Registration  Statement  was a
voluntary filing under Section 12(g) of the Securities  Exchange Act of 1934, as

It  is  our   understanding   that  this   application  for  withdrawal  of  the
Post-Effective Registration Statement will be deemed granted as of the date that
it is filed with the Commission unless, within fifteen days after such date, the
Registrant receives notice from the Commission that this application will not be

If you have any questions  regarding this  application  for  withdrawal,  please
contact the undersigned at (949)355-4559,  or the Company's  counsel,  Joseph I.
Emas at (305) 531-1174.

Very truly yours,

By /s/ Ezra E. Ezra
  Ezra E. Ezra
  Chief Executive Officer