SecProbe.io

Filing text and metadata
Intelligence Terminal Search Topics Monthly Activity About

Correspondence 0001683863-25-004637 from VANGUARD NEW YORK TAX-FREE FUNDS (CIK 0000788599)

VANGUARD NEW YORK TAX-FREE FUNDS (CIK 0000788599)
Date: May 8, 2025 · CIK: 0000788599 · Accession: 0001683863-25-004637

AI Filing Summary & Sentiment

Date
May 8, 2025
Author
/s/ Anthony V. Coletta, Jr.
Form
CORRESP
Company
VANGUARD NEW YORK TAX-FREE FUNDS (CIK 0000788599)

Letter

Re: Vanguard New York Tax-Free Funds (the “Trust”) File No. 33-02908 Post-Effective Amendment No. 64 (“PEA No. 64")

Dear Ms. Larkin,

This letter responds to your comment provided on April 23, 2025, to PEA No. 64, which was filed with the Commission on March 6, 2025, for the purpose of adding Vanguard New York Tax-Exempt Bond ETF (the “Fund”) as a new series of the Trust.

Comment 1:

Item 9 Risk Disclosure

Comment:

Tax risk is included in the summary prospectus but not Item 9. Please add tax risk

to the Item 9 disclosure.

Response:

Tax risk appears in bold in the “Investing in Tax-Exempt Funds” section of the

prospectus. Therefore, we believe the risk disclosure is sufficient.

Please contact me at anthony_coletta@vanguard.com or 610-669-9296 with any questions or comments regarding the above.

Sincerely,
/s/ Anthony V. Coletta, Jr.

Show Raw Text
CORRESP
1
filename1.htm

SEC comments response letter-Vanguard New York Tax-Exempt Bond ETF

        P.O. Box 2600

        Valley Forge, PA 19482 anthony_coletta@vanguard.com

        via electronic filing

        May 8, 2025

        Lisa N. Larkin, Esq.

        U.S. Securities and Exchange Commission

        100 F Street, N.E.

        Washington, DC 20549

                    Re:

                    Vanguard New York Tax-Free Funds (the “Trust”)

                    File No. 33-02908

                    Post-Effective Amendment No. 64 (“PEA No. 64")

        Dear Ms. Larkin,

        This letter responds to your comment provided on April 23, 2025, to PEA No. 64, which was filed with the Commission on March 6, 2025, for the purpose of adding Vanguard New York Tax-Exempt Bond ETF (the “Fund”) as a new series of the Trust.

                    Comment 1:

                    Item 9 Risk Disclosure

                    Comment:

                    Tax risk is included in the summary prospectus but not Item 9. Please add tax risk

                    to the Item 9 disclosure.

                    Response:

                    Tax risk appears in bold in the “Investing in Tax-Exempt Funds” section of the

                    prospectus. Therefore, we believe the risk disclosure is sufficient.

        Please contact me at anthony_coletta@vanguard.com or 610-669-9296 with any questions or comments regarding the above.

        Sincerely,

        /s/ Anthony V. Coletta, Jr.

        Anthony V. Coletta, Jr.

        Assistant General Counsel

        The Vanguard Group, Inc.