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Correspondence 0001398344-22-023888 from AUGUSTAR VARIABLE INSURANCE PRODUCTS FUND INC (CIK 0000315754)

AUGUSTAR VARIABLE INSURANCE PRODUCTS FUND INC (CIK 0000315754)
Date: Dec. 1, 2022 · CIK: 0000315754 · Accession: 0001398344-22-023888

AI Filing Summary & Sentiment

File numbers found in text: 811-3015

Date
November 30, 2022
Author
/s/ Tim Abbott
Form
CORRESP
Company
AUGUSTAR VARIABLE INSURANCE PRODUCTS FUND INC (CIK 0000315754)

Letter

Division of Investment Management 100 F Street NE Washington, DC 20549 File Nos. 2-67464, 811-3015

Re: Ohio National Fund, Inc. (the “Registrant”)

Dear Mr. Burak:

We are writing in response to comments provided by telephone on November 30, 2022, related to the Registrant’s Annual Report filed on Form N-CSR for the annual period ending December 31, 2021. The comments of the Staff of the Securities and Exchange Commission (the “Staff”), as we understand them, and the Registrant’s responses, are set forth below.

1. Staff Comment: With respect to Item 11(b) on Form N-CSR, please explain whether any changes occurred in internal control over financial reporting that have materially affected, or are reasonably likely to materially affect, the Registrant’s internal control over financial reporting during the period covered by the report, as opposed to only the most recent fiscal quarter.

Response: There were no changes in the Registrant’s internal control over financial reporting that occurred during the period covered by the report that have materially affected, or are reasonably likely to materially affect, the Registrant’s internal control over financial reporting.

If you have any further questions or comments, please contact me at Tim_Abbott@ohionational.com or at (513) 794-6094.

Sincerely,
/s/ Tim Abbott

Show Raw Text
CORRESP
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filename1.htm

December 1,
2022

Mr. Tony Burak

U.S. Securities and Exchange Commission

Division of Investment Management

100 F Street NE

Washington, DC 20549

 Re: Ohio National Fund, Inc. (the “Registrant”)

File Nos. 2-67464, 811-3015

Dear Mr. Burak:

We are writing in response to comments provided by
telephone on November 30, 2022, related to the Registrant’s Annual Report filed on Form N-CSR for the annual period ending December
31, 2021. The comments of the Staff of the Securities and Exchange Commission (the “Staff”), as we understand them, and the
Registrant’s responses, are set forth below.

 1. Staff Comment: With respect to Item 11(b) on Form N-CSR, please explain whether any changes
occurred in internal control over financial reporting that have materially affected, or are reasonably likely to materially affect, the
Registrant’s internal control over financial reporting during the period covered by the report, as opposed to only the most recent
fiscal quarter.

Response: There were no changes
in the Registrant’s internal control over financial reporting that occurred during the period covered by the report that have materially
affected, or are reasonably likely to materially affect, the Registrant’s internal control over financial reporting.

If you have any further questions or comments, please
contact me at Tim_Abbott@ohionational.com or at (513) 794-6094.

    Sincerely,

    /s/ Tim Abbott

    Tim Abbott

    Senior Attorney