Kathleen M. Macpeak
+1.202.373.6149
kathleen.macpeak@morganlewis.com
September 18, 2020
Elisabeth Bentzinger
U.S. Securities and Exchange Commission
Division of Investment Management
100 F Street NE
Washington, DC 20549
Re: | Nuveen Municipal Income Fund, Inc. (the Fund) |
File Nos. 333-237289 and 811-05488
Dear Ms. Bentzinger:
The purpose of this letter is to respond to comments relating to the Funds initial registration statement on Form N-2, which was filed on March 19, 2020 for the purpose of registering additional common shares of the Fund. The following summarizes your comments and the Funds responses. Unless otherwise noted, capitalized terms have the same meaning as contained in the Funds Prospectus or Form N-2.
SAI Investment Restrictions
1. | Comment: In the newly-added paragraph on page 2 of the SAI, please disclose the Funds policy not to leverage its capital structure by issuing senior securities such as preferred shares or debt instruments. |
Response: The Fund represents that this policy is disclosed as item (1) under Investment Restrictions.
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If you have any additional questions or comments, please do not hesitate to contact me at 202.373.6149.
Sincerely yours,
/s/ Kathleen M. Macpeak
Kathleen M. Macpeak
cc: | Gifford Zimmerman |
Mark Winget
Morgan, Lewis & Bockius LLP | ||
1111 Pennsylvania Avenue, NW |
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