Correspondence 0001387131-23-008208 from SPROTT FUNDS TRUST (CIK 0001728683)
SPROTT FUNDS TRUST (CIK 0001728683)
Date: July 5, 2023 · CIK: 0001728683 · Accession: 0001387131-23-008208
AI Filing Summary & Sentiment
Show Raw Text
CORRESP
1
filename1.htm
June 28, 2023
VIA
EDGAR
Ms.
Megan Flanagan Miller
Accountant
Division of Investment Management
Securities and Exchange Commission
100 F Street, N.E.
Washington, D.C. 20549
Re: Sprott Funds Trust
File No. 811- 23382
Dear Ms. Miller:
This letter responds to comments of
the staff (the “Staff”) of the Securities and Exchange Commission (the “SEC”) to the filing by the Sprott Funds
Trust (the “Trust”) and its series (each a “Fund” and, collectively, the “Funds”) of the Registrant’s
Form N-SCR, which includes its annual report for the fiscal year ended December 31, 2022 (the "Annual Report"), and certain
other filings, as provided verbally in a phone conversation on April 27, 2023 to Bibb Strench. The Staff’s comments and our responses
are discussed below.
Comment 1: Form N-CSR.
The Notes to the Financial Statements in the Annual Report includes a discussion of certain contingencies. As required by Rule 6-04 of
Regulation S-X (Balance Sheet), please include in future filings of the Funds' annual reports a line item for Commitments and Contingent
liabilities. Please further note that the Notes should address amounts of the advisory fee paid by the applicable Funds subject to recoupment.
Response: The Funds represent that the
annual reports in future N-CSR filings will include a line item for Commitments and Contingent
liabilities as required by Rule 6-04 of Regulation S-X.
Bibb.Strench@ThompsonHine.com Fax: 202.331.8330 Phone: 202.973.2727
Ms. Megan Flanagan Miller
June 28, 2023
Page 2
Comment 2: Form N-CSR.
Note 2 in the Notes to the Financial Statements in the Annual Report includes a sentence about the Funds' status as investment companies
under U.S. GAAP and follows the guidance applicable investment companies in FASB Topic 946. Please note that this sentence is not necessary
in future filings of the Annual Report.
Response: The Funds represent that the
annual reports in future N-CSR filings will not include the sentence referenced in the comment.
Comment 3: N-CSR: Please
confirm that any net realized gains or losses on transactions in investment securities of affiliated issuers, including in-kind transactions,
has been disclosed separately, pursuant to paragraph 2(a) of Rule 6-07 of Regulation S-X (Statement of Operations - Expenses).
Response: The Funds confirm that the net
realized gains or losses on transactions in investment securities of affiliated issuers,
including in-kind transactions, has been disclosed separately.
Comment 4: N-CSR: Under
the column heading "Financial highlights" in the Report of Independent Registered Public Accounting Firm are references to
certain periods for both the Sprott Gold Miners ETF and Sprott Junior Gold Miners ETFs, each of which reads:
"For each
of the two years ended December 31, 2022, for the Period December 1 through December 31, 2020 and for the two years ended November 30,
2020."
If accurate, please
request that these Funds' independent registered public accounting firm to correct “for the two years ended November 30, 2020”
so that it reads: "for the two years ended November 30, 2019".
Ms. Megan Flanagan Miller
June 28, 2023
Page 3
Response: The correction noted above has been
made to the Annual Report. Please note that the opinion issued by the independent registered public accounting firm reference the correct
date; however, an error occurred when carrying over that date to the Annual Report that was filed.
* * * *
If you have any additional comments
or questions, please contact the undersigned at (202) 973-2727.
Sincerely,
/s/ Bibb Strench
Bibb Strench
cc: John Ciampaglia