W. John McGuire
Partner
+1.202.373.6799
john.mcguire@morganlewis.com
November 9, 2020
VIA EDGAR
Mr. Paul Cellupica, Chief Counsel
Division of Investment Management
Securities and Exchange Commission
100 F Street, NE
Washington, DC 20549
Re: | Gracie Credit Opportunities Master Fund, L.P. and Gracie Asset Management (File No. 812-14865) |
Dear Mr. Cellupica:
We are writing on behalf of Gracie Credit Opportunities Master Fund, L.P. and Gracie Asset Management (the Applicants) to respectfully request the withdrawal of the Applicants application for an order under Section 12(d)(1)(J) of the Investment Company Act of 1940 (the Act) for an Exemption from Sections 12(d)(1)(A)(i) and 12(d)(1)(B)(i) of the Act and Pursuant to Sections 6(c) and 17(b) of the Act for an Exemption from Section 17(a) of the Act (the Application). The Application was originally filed with the Securities and Exchange Commission on January 12, 2018.
The Applicants respectfully request that the Application be withdrawn and that the Securities and Exchange Commission take no further action with respect thereto.
If you have any questions or need further information, please call me at (202) 373-6799.
Sincerely, |
W. John McGuire |
cc: | Daniele Marchesani, Assistant Chief Counsel, Division of Investment Management | |
Brad D. Wagner, Esq. |
Morgan, Lewis & Bockius LLP | ||||
1111 Pennsylvania Avenue, NW | ||||
Washington, DC 20004 | T +1.202.739.3000 | |||
United States | F +1.202.739.3001 |