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CORRESP Filing

FIRST TRUST SENIOR FLOATING RATE INCOME FUND II
Date: May 29, 2025 · CIK: 0001282850 · Accession: 0001445546-25-003783

Regulatory Compliance Financial Reporting Internal Controls

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File numbers found in text: 811-21539

Date
April 29, 2025
Author
Chapman and Cutler
Form
CORRESP
Company
FIRST TRUST SENIOR FLOATING RATE INCOME FUND II

Letter

May 29, VIA EDGAR CORRESPONDENCE Brian Szilagyi United States Securities and Exchange Commission 100 F Street, N.E. Washington, D.C. 20549 Re: SOX Review of First Trust Senior Floating Rate Income Fund II (File No. 811-21539)

Dear Mr. Szilagyi:

This letter responds to comments provided by the staff of the Securities and Exchange Commission (the "Staff" ) on April 29, 2025 via telephone, pursuant to Section 408 of the Sarbanes-Oxley Act of 2002, regarding First Trust Senior Floating Rate Income Fund II (the "Fund" ). Capitalized terms used herein, but not otherwise defined, have the meanings ascribed to them in the Fund's Annual Report for the fiscal year ended May 31, 2024 (the "Annual Report" ) as filed on Form N-CSR with the Staff on August 8, 2024.

Comment

The Staff notes that Item C.7 of the Fund's Form N-CEN indicates that the Fund did not enter into any unfunded commitment agreements under Rule 18f-4(e); however, the Staff noted that Form N-CSR indicates certain investments in unfunded commitment agreements. Please discuss in correspondence why box C.7.n.v. was left unchecked and whether the Fund complies with Rule 18f-4(e) with respect to unfunded commitments.

Response to Comment 1

The Fund confirms that it did enter into unfunded commitment agreements during the applicable reporting period under Rule 18f-4(e) and that the box for C.7.n.v. should have been checked on the Fund's applicable Form N-CEN filing. The box was left unchecked due to an oversight in the Form N-CEN process, which has now been addressed for the Fund and other applicable First Trust Funds. The Fund will provide an accurate response in future Form N-CEN filings with regard to its holdings of unfunded commitment agreements in Item C.7.n.v, as applicable. The Fund was not in compliance with Rule 18f-4(e) during the applicable reporting period, however, the Fund confirms it now complies with Rule 18f-4(e) with respect to unfunded commitment agreements.

******* *

Please call me at (312) 845-3484 if you have any questions or issues you would like to discuss regarding these matters.

Sincerely yours,
Chapman and Cutler
LLP

Show Raw Text
CORRESP
 1
 filename1.htm

 Chapman and Cutler LLP

 320 South Canal Street, 27th Floor

 Chicago, Illinois 60606

 T 312.845.3000

 F 312.701.2361

 www.chapman.com

 May 29,
2025

 VIA EDGAR CORRESPONDENCE

 Brian Szilagyi
United States Securities and Exchange Commission
100 F Street, N.E.
Washington, D.C. 20549

 Re:
 SOX Review of First Trust Senior Floating Rate Income Fund II
 (File
No. 811-21539)

Dear Mr. Szilagyi:

 This letter responds
to comments provided by the staff of the Securities and Exchange Commission (the "Staff" ) on April 29, 2025 via telephone,
pursuant to Section 408 of the Sarbanes-Oxley Act of 2002, regarding First Trust Senior Floating Rate Income Fund II (the "Fund" ).
Capitalized terms used herein, but not otherwise defined, have the meanings ascribed to them in the Fund's Annual Report for the
fiscal year ended May 31, 2024 (the "Annual Report" ) as filed on Form N-CSR with the Staff on August 8, 2024.

 Comment
1

 The Staff notes that
Item C.7 of the Fund's Form N-CEN indicates that the Fund did not enter into any unfunded commitment agreements under Rule 18f-4(e);
however, the Staff noted that Form N-CSR indicates certain investments in unfunded commitment agreements. Please discuss in correspondence
why box C.7.n.v. was left unchecked and whether the Fund complies with Rule 18f-4(e) with respect to unfunded commitments.

 Response
to Comment 1

 The Fund confirms
that it did enter into unfunded commitment agreements during the applicable reporting period under Rule 18f-4(e) and that the box for
C.7.n.v. should have been checked on the Fund's applicable Form N-CEN filing. The box was left unchecked due to an oversight in
the Form N-CEN process, which has now been addressed for the Fund and other applicable First Trust Funds. The Fund will provide an accurate
response in future Form N-CEN filings with regard to its holdings of unfunded commitment agreements in Item C.7.n.v, as applicable. The
Fund was not in compliance with Rule 18f-4(e) during the applicable reporting period, however, the Fund confirms it now complies with
Rule 18f-4(e) with respect to unfunded commitment agreements.

 ******* *

 Please call me at
(312) 845-3484 if you have any questions or issues you would like to discuss regarding these matters.

 Sincerely yours,

 Chapman and Cutler
 LLP

 By:
 /s/ Morrison C. Warren

 Morrison C. Warren