Correspondence 0001528621-23-000199 from GUGGENHEIM DEFINED PORTFOLIOS, SERIES 2287 (CIK 0001902621)
GUGGENHEIM DEFINED PORTFOLIOS, SERIES 2287 (CIK 0001902621)
Date: Feb. 8, 2023 · CIK: 0001902621 · Accession: 0001528621-23-000199
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File numbers found in text: 333-269014, 811-03763
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Chapman and Cutler LLP
320 South Canal Street, 27th Floor
Chicago, Illinois 60606
February 8, 2023
Via EDGAR Filing
Mr. Michael A. Rosenberg
Division of Investment Management
Securities and Exchange Commission
100 F Street, N.E.
Washington, DC 20549
Re: Guggenheim Defined Portfolios, Series 2287
Diversified Credit Portfolio of ETFs, Series 22
File Nos. 333-269014 and 811-03763
Dear Mr. Rosenberg:
This letter responds to
the comments given during a telephone conversation with our office regarding the registration statement on Form S-6 for Guggenheim
Defined Portfolios, Series 2287, filed on December 27, 2022, with the Securities and Exchange Commission. The registration statement
proposes to offer the Diversified Credit Portfolio of ETFs, Series 22 (the “trust”).
PROSPECTUS
Investment
Summary — Principal Investment Strategy
1. Please
supplementally confirm that the exchange-traded funds in which the trust invests have an 80% policy to invest in fixed-income securities.
Response: The sponsor
confirms that the exchange-traded funds in which the trust invests have one of the following policies: (i) an 80% policy to invest in
fixed-income securities; (ii) an 80% policy to invest in the component securities of an index which is composed of fixed-income securities;
or (iii) an 80% policy to invest in the component securities of an index which is composed of fixed-income securities and in securities
that the adviser determines have economic characteristics that are substantially identical to the economic characteristics of the securities
comprising the index.
2. In
the second paragraph under “Principal Investment Strategy” it states, “[t]he trust may also invest in preferred ETFs.”
Please clarify what is meant by “preferred ETFs.”
Response: In response
to this comment, the referenced disclosure has been revised as follows: “The trust may also invest in ETFs that invest substantially
all of their assets in preferred securities (“preferred ETFs”).”
We appreciate your prompt
attention to this registration statement. If you have any questions or comments or would like to discuss our responses to your questions,
please feel free to contact the undersigned at (312) 845-3484.
Very truly yours,
Chapman
and Cutler LLP
By /s/ Morrison C.
Warren
Morrison C. Warren