1900 K Street, N.W. Washington, DC 20006 +1 202 261 3300 Main +1 202 261 3333 Fax www.dechert.com
| ||
February 11, 2019
VIA EDGAR |
WILLIAM J. BIELEFELD
william.bielefeld@dechert.com +1 202 261 3386 Direct +1 202 261 3333 Fax |
Mr. Jay Williamson
U.S. Securities and Exchange Commission
Division of Investment Management
100 F Street, NE
Washington, D.C. 20549
Re: | Goldman Sachs Private Markets Fund 2018 LLC |
Post-Effective Amendment No. 3 to the Registration Statement on Form N-2
Filed February 8, 2019
File No. 333-220916
Goldman Sachs Private Markets Fund 2018 (A) LLC
Post-Effective Amendment No. 3 to the Registration Statement on Form N-2
Filed February 8, 2019
File No. 333-220915
Goldman Sachs Private Markets Fund 2018 (B) LLC
Post-Effective Amendment No. 3 to the Registration Statement on Form N-2
Filed February 8, 2019
File No. 333-220917
Dear Mr. Williamson:
This letter responds to comments you provided telephonically to me on February 11, 2019 with respect to Post-Effective Amendment No. 3 (the Amendment) to each of the registration statements on Form N-2 (the Registration Statements) under the Securities Act of 1933, as amended, and the Investment Company Act of 1940, as amended, filed with the Securities and Exchange Commission (the SEC) on February 8, 2019 on behalf of Goldman Sachs Private Markets Fund 2018 LLC, Goldman Sachs Private Markets Fund 2018 (A) LLC and Goldman Sachs Private Markets Fund 2018 (B) LLC (collectively, the Funds).
The Funds hereby confirm that they do not intend to rely on Rule 30e-3 under the Investment Company Act of 1940, as amended, prior to January 1, 2022 and, accordingly, have not included the language specified in Item 1.1.(l) of Form N-2 in the prospectuses contained in the Registration Statements.
* * * * *
|
Mr. Jay Williamson February 11, 2019 Page 2 |
We believe that the foregoing has been responsive to the Staffs comment. Please call the undersigned at (202) 261-3386 if you wish to discuss this correspondence further.
Sincerely, |
/s/ William J. Bielefeld |
William J. Bielefeld |
cc: | Robert Griffith, Goldman Sachs Asset Management, L.P. |