0000865549-10-000010.txt : 20110708
0000865549-10-000010.hdr.sgml : 20110708
20101124101602
ACCESSION NUMBER: 0000865549-10-000010
CONFORMED SUBMISSION TYPE: CORRESP
PUBLIC DOCUMENT COUNT: 1
FILED AS OF DATE: 20101124
FILER:
COMPANY DATA:
COMPANY CONFORMED NAME: ATLAS FUTURES FUND LIMITED PARTNERSHIP
CENTRAL INDEX KEY: 0000865549
STANDARD INDUSTRIAL CLASSIFICATION: [6221]
IRS NUMBER: 510380494
STATE OF INCORPORATION: DE
FISCAL YEAR END: 1231
FILING VALUES:
FORM TYPE: CORRESP
BUSINESS ADDRESS:
STREET 1: 505 BROOKFIELD DRIVE
CITY: DOVER
STATE: DE
ZIP: 19901
BUSINESS PHONE: 800-331-1532
MAIL ADDRESS:
STREET 1: 505 BROOKFIELD DRIVE
CITY: DOVER
STATE: DE
ZIP: 19901
CORRESP
1
filename1.txt
THE SCOTT LAW FIRM, LTD.
201 West Lake Street, Suite 243
Chicago, IL 60606
(312) 957-5553
wscott@wscottlaw.com
November 19, 2010
Ms. Cicely LaMothe Filed via EDGAR
Branch Chief
US Securities And Exchange Commission
Division Of Corporation Finance
450 Fifth Street, N.W.
Washington, D.C. 20549-7010
Re: Atlas Futures Fund, Limited Partnership (the "Issuer")
Form 10-K for the year ended December 31, 2009
Forms 10-Q for the quarters ended March 31, 2010,
June 30, 2010 and September 30, 2010
File No. 333-53111
Dear Ms. LaMothe,
We have reproduced below the comment provided in your letter to the
Issuer of November 17, 2010, and have supplied its response immediately
following the comment.
Management's Discussion and Analysis of Financial Condition and Results of
Operations
Results of Operations, page 10
1. It appears that your discussion of the results of operations covers only
changes from 2008 to 2009. Please expand your discussion in future filings to
cover the changes for the three-year period included in the filing. Also, your
discussion for the three-year period included in the filing should cover the
factors that contributed to significant changes in individual line items
(e.g., net realized gains/losses from investments and foreign currency
transactions). Please refer to Instructions 1 and 4 to paragraph 303(A) of
Regulation S-K. Please confirm in writing that you will do so and also explain
to us how you intend to comply.
Response: The Issuer will expand its discussion in future filings to cover
the changes for the three year period included in the filing, taking into
consideration Instruction 1 to paragraph 303(A). In addition, it will expand
the discussion relating to the factors that contributed to significant changes
in individual line items, taking into consideration the caveats provided in
Instruction 4 to paragraph 303(A).
We are available to amplify or clarify any response.
Very truly yours,
/s/ William S. Scott
William Sumner Scott
For the Firm
WSS/lf
cc: Ashley Capital Management, Inc.
General Partner
ASHLEY CAPITAL MANAGEMENT, INC.
5914 N. 300 West
Fremont, IN 46737
(260) 833-1306
November 19, 2010
Ms. Cicely LaMothe Filed via EDGAR
Branch Chief
US Securities And Exchange Commission
Division Of Corporation Finance
450 Fifth Street, N.W.
Washington, D.C. 20549-7010
Re: Atlas Futures Fund, Limited Partnership (the "Issuer")
Form 10-K for the year ended December 31, 2009
Forms 10-Q for the quarters ended March 31, 2010,
June 30, 2010 and September 30, 2010
File No. 333-53111
Dear Ms. LaMothe,
The undersigned general partner of the Issuer hereby acknowledges that:
* the Issuer is responsible for the adequacy and accuracy of the
disclosure in the filing;
* staff comments or changes to disclosure in response to staff comments do
not foreclose the Commission from taking any action with respect to the
filing; and
* the Issuer may not assert staff comments as a defense in any proceeding
initiated by the Commission or any person under the Federal securities laws of
the United States.
We are available to amplify or clarify our response.
Very truly yours,
/s/ Michael Pacult
Michael Pacult
President