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Correspondence 0001829126-24-004864 from BlueBay Destra International Event-Driven Credit Fund (CEDAX) (CIK 0001722837)

BlueBay Destra International Event-Driven Credit Fund (CEDAX) (CIK 0001722837)
Date: July 17, 2024 · CIK: 0001722837 · Accession: 0001829126-24-004864

AI Filing Summary & Sentiment

File numbers found in text: 333-221584, 811-23309

Date
July 17, 2024
Author
/s/
Form
CORRESP
Company
BlueBay Destra International Event-Driven Credit Fund (CEDAX) (CIK 0001722837)

Letter

VIA EDGAR TRANSMISSION Securities and Exchange Commission F Street, N.E. Washington, D.C. 20549 Re: BlueBay Destra International Event-Driven Credit Fund (Registration Nos. 333-221584; 811-23309)

Dear Mr. Ellington:

The following responds to the Staff’s comments that you provided by telephone relating to the semi-annual report of BlueBay Destra International Event-Driven Credit Fund (the “Registrant” or the “Fund”), filed on Form N-CSRS for its fiscal period ended March 31, 2024, which was filed with the Securities and Exchange Commission (“SEC”).

For your convenience, the Staff’s comments are summarized below and each comment is followed by the Registrant’s response. All disclosure changes will be reflected in future shareholder reports and filings on Form N-CSR.

1. Comment: If the Fund holds written options that are over-the-counter derivatives, going forward, please disclose the counterparty as required by Articles 12-13 of Regulation S-X.

Response: The Registrant confirms that it will, going forward, include the information required under Regulation S-X when applicable.

2. Comment: Please confirm that funds investing in other funds have disclosed distributions of realized gains by other investment companies, if any, separately. See Article 6-07.7(b) of Regulation S-X.

Response: The Registrant so confirms.

3. Comment: The Fund has been identified as a non-diversified fund; however, it appears that it is operating as a diversified fund. If the Fund has been operating as a diversified fund for more than three years, please confirm that the Fund will receive shareholder approval prior to changing its status back to non-diversified. See Section 13(a)(1) of the Investment Company Act of 1940 and Rule 13a-1 thereunder.

Response: The Registrant confirms it will obtain shareholder approval prior to changing its status back to non-diversified.

* * * * *

We trust that the foregoing is responsive to your comments. Questions and comments concerning this filing may be directed to the undersigned at (312) 569-1146 or, in my absence, to Joshua Deringer at (215) 988-2959.

Sincerely,
/s/
Stacie L. Lamb

Show Raw Text
CORRESP
1
filename1.htm

Faegre
Drinker Biddle & Reath LLP

320 S. Canal Street, Ste. 3300

Chicago, IL 60606

(312) 569-1000 (Phone)

(312) 569-3000 (Facsimile)

www.faegredrinker.com

July
17, 2024

VIA
EDGAR TRANSMISSION

Mr.
Kenneth Ellington

Securities
and Exchange Commission

100
F Street, N.E.

Washington,
D.C. 20549

 Re: BlueBay
Destra International Event-Driven Credit Fund

(Registration
Nos. 333-221584; 811-23309)

Dear
Mr. Ellington:

The
following responds to the Staff’s comments that you provided by telephone relating to the semi-annual report of BlueBay Destra
International Event-Driven Credit Fund (the “Registrant” or the “Fund”), filed on Form N-CSRS for its fiscal
period ended March 31, 2024, which was filed with the Securities and Exchange Commission (“SEC”).

For
your convenience, the Staff’s comments are summarized below and each comment is followed by the Registrant’s response. All
disclosure changes will be reflected in future shareholder reports and filings on Form N-CSR.

1. Comment:
                                            If the Fund holds written options that are over-the-counter derivatives, going forward, please
                                            disclose the counterparty as required by Articles 12-13 of Regulation S-X.

Response:
The Registrant confirms that it will, going forward, include the information required under Regulation S-X when applicable.

2. Comment:
                                            Please confirm that funds investing in other funds have disclosed distributions of realized
                                            gains by other investment companies, if any, separately. See Article 6-07.7(b) of
                                            Regulation S-X.

Response:
The Registrant so confirms.

3. Comment:
                                            The Fund has been identified as a non-diversified fund; however, it appears that it is operating
                                            as a diversified fund. If the Fund has been operating as a diversified fund for more than
                                            three years, please confirm that the Fund will receive shareholder approval prior to changing
                                            its status back to non-diversified. See Section 13(a)(1) of the Investment Company
                                            Act of 1940 and Rule 13a-1 thereunder.

Response:
The Registrant confirms it will obtain shareholder approval prior to changing its status back to non-diversified.

*
*    *    *    *

We
trust that the foregoing is responsive to your comments. Questions and comments concerning this filing may be directed to the undersigned
at (312) 569-1146 or, in my absence, to Joshua Deringer at (215) 988-2959.

    Sincerely,

    /s/
    Stacie L. Lamb

    Stacie
    L. Lamb

cc: Joshua
B. Deringer, Esq.