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CORRESP Filing

FOXBY CORP.
Date: June 5, 2025 · CIK: 0001068897 · Accession: 0000770200-25-000036

Regulatory Compliance Financial Reporting Business Model Clarity

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File numbers found in text: 811-09261

Date
June 5, 2025
Author
By
Form
CORRESP
Company
FOXBY CORP.

Letter

VIA EDGAR CORRESPONDENCE Ken Ellington Staff Accountant U.S. Securities and Exchange Commission Division of Investment Management, Disclosure Review and Accounting Office Response to Comments on Form N-CSR and Form N-CEN for the twelve months ended December 31, 2024 of Foxby Corp. (the “Registrant” or “Fund”) (811-09261)

Re:

Dear Mr. Ellington:

On behalf of the Registrant, set forth below are the comments that you (the “Staff”) provided by telephone on June 2, 2025 concerning the Fund’s Form N-CSR, filed with the Securities and Exchange Commission (the “SEC”) on February 27, 2025, and the Registrant’s response thereto.

1.

Comment: Please confirm if there has been a material change to the Fund’s principal investment strategy or principal risks or a change in the persons who are primarily responsible for the day-to-day management of the Fund. If so, please confirm the Fund has disclosed these changes in the shareholder reports. See Rule 8b-16 of the Investment Company Act of 1940.

Response: The Registrant confirms there have been no changes within the reporting period to the items set forth above.

2.

Comment : Please explain why the most recent annual report did not include the following legend in the policies and updates section: “the following information [in this annual report] is a summary of certain changes since [date]. This information may not reflect all the changes that have occurred since you purchased [this fund].” See Rule 8b-16(e).

Response: The Fund will include the above legend on a going-forward basis commencing with its next report on Form N-CSR.

3.

Comment: In future filings, please include the Fund’s current investment objectives, investment policies, principal risks, and any material changes thereto in a single location of the financial report separate from the notes to the financial statements. See AICPA expert panel meeting minutes dated May 17-18, 2021.

Response: The Fund will make the requested changes commencing with its next report on Form N-CSR.

4.

Comment: Please include disclosure responsive to items 4(i) and 4(j) of Form N-CSR in all future Form N-CSR filings even if those items are not applicable to the Registrant.

Response: The Fund will make the requested changes commencing with its next report on Form N-CSR.

* * * * *

Should you have any further comments on these matters, or any questions, please contact me at (212) 785-0900, extension 275, or rkamerman@performancedriven.us.

Sincerely,
FOXBY CORP.

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CORRESP
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 filename1.htm

 FOXBY CORP.
 2255 Buffalo Road
 Rochester, NY 14624

 June 5, 2025

 VIA EDGAR CORRESPONDENCE

 Ken Ellington
 Staff Accountant
 U.S. Securities and Exchange Commission
 Division of Investment Management, Disclosure Review and Accounting Office

 Re:

 Response to Comments on Form N-CSR and Form N-CEN for the twelve months ended December 31, 2024 of Foxby Corp. (the “Registrant” or “Fund”) (811-09261)

 Dear Mr. Ellington:

 On behalf of the Registrant, set forth below are the comments that you (the “Staff”) provided by telephone on June
 2, 2025 concerning the Fund’s Form N-CSR, filed with the Securities and Exchange Commission (the “SEC”) on February 27, 2025, and the Registrant’s response thereto.

 1.

 Comment: Please confirm if there has been
 a material change to the Fund’s principal investment strategy or principal risks or a change in the persons who are primarily responsible for the day-to-day management of the Fund.  If so, please confirm the Fund has disclosed these changes
 in the shareholder reports.  See Rule 8b-16 of the Investment Company Act of 1940.

 Response: The Registrant
 confirms there have been no changes within the reporting period to the items set forth above.

 2.

 Comment : Please explain why the most
 recent annual report did not include the following legend in the policies and updates section: “the following information [in this annual report] is a summary of certain changes since [date].  This information may not reflect all the
 changes that have occurred since you purchased [this fund].”  See Rule 8b-16(e).

 Response: The
 Fund will include the above legend on a going-forward basis commencing with its next report on Form N-CSR.

 3.

 Comment: In future filings, please
 include the Fund’s current investment objectives, investment policies, principal risks, and any material changes thereto in a single location of the financial report separate from the notes to the financial statements.  See AICPA expert
 panel meeting minutes dated May 17-18, 2021.

 1

 Response:
 The Fund will make the requested changes commencing with its next report on Form N-CSR.

 4.

 Comment: Please include disclosure
 responsive to items 4(i) and 4(j) of Form N-CSR in all future Form N-CSR filings even if those items are not applicable to the Registrant.

 Response: The
 Fund will make the requested changes commencing with its next report on Form N-CSR.

 *   *   *   *   *

 Should you have any further comments on these matters, or any questions, please contact me at (212) 785-0900, extension 275, or
 rkamerman@performancedriven.us.

 Sincerely,

 FOXBY CORP.

   By:
 /s/ Russell Kamerman

  Name: Russell Kamerman

  Title: General Counsel

  CC:

   Pamela M. Krill, Esq.

   Godfrey & Kahn, S.C.

 2