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Correspondence 0001193125-24-226565 from Oaktree Strategic Credit Fund (CIK 0001872371)

Oaktree Strategic Credit Fund (CIK 0001872371)
Date: Sept. 26, 2024 · CIK: 0001872371 · Accession: 0001193125-24-226565

AI Filing Summary & Sentiment

File numbers found in text: 333-281045

Date
September 26, 2024
Author
/s/ William J. Tuttle, P.C.
Form
CORRESP
Company
Oaktree Strategic Credit Fund (CIK 0001872371)

Letter

United States United States Securities and Exchange Commission Division of Investment Management Attn: Eileen Smiley and Lauren Hamilton Re: Oaktree Strategic Credit Fund Registration Statement on Form N-14 File No. 333-281045

Dear Ladies and Gentlemen:

On behalf of Oaktree Strategic Credit Fund, a Delaware statutory trust (the “Fund”), we hereby respond to the comment raised by the staff (the “Staff”) of the Securities and Exchange Commission (the “Commission”) regarding Pre-Effective Amendment No. 2 to the Fund’s Registration Statement on Form N-14, filed on September 24, 2024, in a call on September 25, 2024 between Lauren Hamilton of the Staff and William J. Tuttle of Kirkland & Ellis LLP, outside counsel to the Fund. For your convenience, a transcription of the Staff’s comment is included in this letter, with the comment followed by the Fund’s response. Except as provided in this letter, terms used in this letter have the meanings given to them in the Registration Statement.

1. Please state that the auditor’s consent has been previously filed, rather than incorporating such consent by reference to Pre-Effective Amendment No. 1 to the Registration Statement.

Response: As requested, the Fund has revised the Registration Statement to state that the auditor’s consent has been previously filed, rather than incorporating such consent by reference to Pre-Effective Amendment No. 1 to the Registration Statement.

* * * * * * *

Austin Bay Area Beijing Boston Brussels Chicago Dallas Frankfurt Hong Kong Houston London Los Angeles Miami Munich New York Paris Riyadh Salt Lake City Shanghai

United States Securities and Exchange Commission

September 26, 2024

Page

If you have any questions, please feel free to contact the undersigned by telephone at 202.389.3350 (or by email at william.tuttle@kirkland.com) or Erin M. Lett by telephone at 202.389.3353 (or by email at erin.lett@kirkland.com). Thank you for your cooperation and attention to this matter.

Sincerely,
/s/ William J. Tuttle, P.C.

Show Raw Text
CORRESP
1
filename1.htm

CORRESP

 William J. Tuttle, P.C.

To Call Writer Directly:

 +1 202 389
3350

 william.tuttle@kirkland.com

 1301 Pennsylvania Avenue, N.W.

Washington, D.C. 20004

 United
States

 +1 202 389 5000

 www.kirkland.com

 Facsimile:

+1 202 389 5200

 September 26, 2024

By EDGAR

 United States Securities and Exchange Commission

Division of Investment Management

 100 F Street, N.E.

Washington, D.C. 20549

 Attn: Eileen Smiley and Lauren Hamilton

Re:
 Oaktree Strategic Credit Fund

 
 Registration Statement on Form N-14

 
 File No. 333-281045

Dear Ladies and Gentlemen:

 On behalf of Oaktree Strategic
Credit Fund, a Delaware statutory trust (the “Fund”), we hereby respond to the comment raised by the staff (the “Staff”) of the Securities and Exchange Commission (the “Commission”) regarding Pre-Effective Amendment No. 2 to the Fund’s Registration Statement on Form N-14, filed on September 24, 2024, in a call on September 25, 2024 between
Lauren Hamilton of the Staff and William J. Tuttle of Kirkland & Ellis LLP, outside counsel to the Fund. For your convenience, a transcription of the Staff’s comment is included in this letter, with the comment followed by the
Fund’s response. Except as provided in this letter, terms used in this letter have the meanings given to them in the Registration Statement.

1.
 Please state that the auditor’s consent has been previously filed, rather than incorporating such
consent by reference to Pre-Effective Amendment No. 1 to the Registration Statement.

Response: As requested, the Fund has revised the Registration Statement to state that the auditor’s consent has been previously filed, rather
than incorporating such consent by reference to Pre-Effective Amendment No. 1 to the Registration Statement.

* * * * * * *

Austin Bay Area Beijing Boston Brussels Chicago Dallas Frankfurt Hong Kong Houston London Los Angeles Miami Munich New York
Paris Riyadh Salt Lake City Shanghai

 United States Securities and Exchange Commission

September 26, 2024

  Page
 2

 If you have any questions, please feel free to contact the undersigned by telephone at 202.389.3350 (or by
email at william.tuttle@kirkland.com) or Erin M. Lett by telephone at 202.389.3353 (or by email at erin.lett@kirkland.com). Thank you for your cooperation and attention to this matter.

Sincerely,

/s/ William J. Tuttle, P.C.

William J. Tuttle, P.C.

cc:
 Mary Gallegly, Oaktree Strategic Credit Fund

 
 William G. Farrar, Sullivan & Cromwell LLP

 
 Erin M. Lett, Kirkland & Ellis LLP