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Correspondence 0001193125-24-279253 from AMERICAN GENERAL LIFE INSURANCE CO (CIK 0000005108)

AMERICAN GENERAL LIFE INSURANCE CO (CIK 0000005108)
Date: Dec. 16, 2024 · CIK: 0000005108 · Accession: 0001193125-24-279253

AI Filing Summary & Sentiment

File numbers found in text: 333-277203

Date
December 16, 2024
Author
/s/ Allen Hakakzadeh
Form
CORRESP
Company
AMERICAN GENERAL LIFE INSURANCE CO (CIK 0000005108)

Letter

VIA EDGAR & E-MAIL Securities and Exchange Commission Division of Investment Management Re: American General Life Insurance Company (the “Company”) Post-Effective Amendment No. 1 to Registration Statement on Form N-4 File No. 333-277203 (the “Amendment”)

Dear Mr. Foor:

On December 13, 2024, the Securities and Exchange Commission’s Staff (“Staff”) provided a follow up comment on the Amendment. The comment and the Company’s response are provided below:

1. Comment – The Staff repeated prior comment #1 regarding including intermediary specific variations in the statutory prospectus, reflecting its continued work with the industry on application of Form N-4 Item 8(a) to variable annuity prospectuses.

Response – The Company understands the Staff continues to work with the industry on Form N-4 Item 8(a) and commits to continuing to engage with the Staff on this issue.

Should you have any questions or need any additional information, please do not hesitate to contact me at (818) 564-5243.

Very
truly yours,
/s/ Allen Hakakzadeh

Show Raw Text
CORRESP
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filename1.htm

CORRESP

 Allen Hakakzadeh

 Senior Attorney

T (818) 564-5243

allen.hakakzadeh@corebridgefinancial.com

 Corebridge Financial

21650 Oxnard Street, Suite 750

 Woodland Hills, CA
91367

 December 16, 2024

 VIA
EDGAR & E-MAIL

 Mr. Jeffrey Foor

Securities and Exchange Commission

 Division of Investment
Management

 100 F Street, N.E. Washington, D.C. 20549

Re:

 American General Life Insurance Company (the “Company”)

Post-Effective Amendment No. 1 to Registration Statement on Form N-4

File No. 333-277203 (the “Amendment”)

 Dear Mr. Foor:

On December 13, 2024, the Securities and Exchange Commission’s Staff (“Staff”) provided a follow up comment on the
Amendment. The comment and the Company’s response are provided below:

1.
 Comment – The Staff repeated prior comment #1 regarding including intermediary specific variations
in the statutory prospectus, reflecting its continued work with the industry on application of Form N-4 Item 8(a) to variable annuity prospectuses.

Response – The Company understands the Staff continues to work with the industry on Form
N-4 Item 8(a) and commits to continuing to engage with the Staff on this issue.

 Should you have
any questions or need any additional information, please do not hesitate to contact me at (818) 564-5243.

 Very
truly yours,

 /s/ Allen Hakakzadeh

 Allen Hakakzadeh

 1