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Correspondence 0001999371-24-000399 from Tidal Trust II (CIK 0001924868)

Tidal Trust II (CIK 0001924868)
Date: Jan. 12, 2024 · CIK: 0001924868 · Accession: 0001999371-24-000399

AI Filing Summary & Sentiment

File numbers found in text: 333-264478, 811-23793

Date
Jan. 12, 2024
Author
/s/
Form
CORRESP
Company
Tidal Trust II (CIK 0001924868)

Letter

VIA EDGAR TRANSMISSION Division of Investment Management, Disclosure Review Office Washington, D.C. 20549 Re: Tidal Trust II (the “Trust”) Post-Effective Amendment No. 134 to the Trust’s Registration Statement on Form N-1A (the “Amendment”) File Nos. 811-23793; 333-264478

Dear Mr. Matthews:

This correspondence responds to comments the Trust received from the staff of the U.S. Securities and Exchange Commission (the “Staff” or the “Commission”) on December 20, 2023, with respect to the Amendment and the Trust’s proposed new series, the Defiance Treasury Alternative Yield ETF (the “Fund”). For your convenience, the comments have been reproduced with responses following each comment. Capitalized terms not otherwise defined have the same meaning as in the Registration Statement.

PROSPECTUS

1. In correspondence, please provide the completed fee table pre-effectively, and include how “Other Expenses” were reasonably estimated for the current fiscal year.

Response: The Fund’s completed Fees and Expenses table is as shown in the attached Exhibit A. The Trust further responds by confirming that Other Expenses were estimated based on a review of sample portfolio holdings for the Fund. The Trust believes that the estimated Other Expenses for the Fund’s initial fiscal year are reasonable given the Fund’s expected portfolio holdings.

2. Please clarify whether U.S. Treasury Bills and/or U.S. Treasury Bonds will be the only Treasury securities to be invested in by the Fund. Or may others also be purchased?

Response: The Trust confirms that the Prospectus has been clarified to indicate that U.S. Treasury bills, U.S. Treasury notes, and/or U.S. Treasury bonds will be the only Treasury securities to be invested in by the Fund as part of the Fund’s principal investment strategy.

3. Please revise the existing 80% test language to indicate that it applies to net assets. Also, include the parenthetical “(including borrowings for investment purposes” within the Fund’s 80% test disclosure. In either Item 9 disclosure or the SAI, please add disclosure explaining that shareholders will be given 60 days’ notice of any change to Fund’s 80% policy.

Response: The Prospectus has been revised to reflect both of the foregoing changes.

If you have any questions or require further information, please contact Michael Pellegrino at (844) 986-7700 #746 or mpellegrino@tidalfg.com.

Sincerely,
/s/
Michael T. Pellegrino

Show Raw Text
CORRESP
1
filename1.htm

Tidal
Trust II

234
West Florida Street, Suite 203

Milwaukee,
Wisconsin 53204

January
12, 2024

VIA
EDGAR TRANSMISSION

Mr.
David Matthews

Division
of Investment Management, Disclosure Review Office

U.S.
Securities and Exchange Commission

100
F Street, N.E.

Washington,
D.C. 20549

Re: Tidal
Trust II (the “Trust”)

  Post-Effective
Amendment No. 134 to the Trust’s Registration Statement on Form N-1A (the “Amendment”)

File
Nos. 811-23793; 333-264478

Dear
Mr. Matthews:

This
correspondence responds to comments the Trust received from the staff of the U.S. Securities and Exchange Commission (the “Staff”
or the “Commission”) on December 20, 2023, with respect to the Amendment and the Trust’s proposed new series, the Defiance
Treasury Alternative Yield ETF (the “Fund”). For your convenience, the comments have been reproduced with responses following
each comment. Capitalized terms not otherwise defined have the same meaning as in the Registration Statement.

PROSPECTUS

 1. In
correspondence, please provide the completed fee table pre-effectively, and include how “Other Expenses” were reasonably
estimated for the current fiscal year.

Response:
The Fund’s completed Fees and Expenses table is as shown in the attached Exhibit A. The Trust further responds by confirming that
Other Expenses were estimated based on a review of sample portfolio holdings for the Fund. The Trust believes that the estimated Other
Expenses for the Fund’s initial fiscal year are reasonable given the Fund’s expected portfolio holdings.

 2. Please
                                            clarify whether U.S. Treasury Bills and/or U.S. Treasury Bonds will be the only Treasury
                                            securities to be invested in by the Fund. Or may others also be purchased?

Response:
The Trust confirms that the Prospectus has been clarified to indicate that U.S. Treasury bills, U.S. Treasury notes, and/or U.S. Treasury
bonds will be the only Treasury securities to be invested in by the Fund as part of the Fund’s principal investment strategy.

 3. Please
                                            revise the existing 80% test language to indicate that it applies to net assets. Also, include
                                            the parenthetical “(including borrowings for investment purposes” within the
                                            Fund’s 80% test disclosure. In either Item 9 disclosure or the SAI, please add disclosure
                                            explaining that shareholders will be given 60 days’ notice of any change to Fund’s
                                            80% policy.

Response:
The Prospectus has been revised to reflect both of the foregoing changes.

If
you have any questions or require further information, please contact Michael Pellegrino at (844) 986-7700 #746 or mpellegrino@tidalfg.com.

Sincerely,

/s/
Michael T. Pellegrino

Michael
T. Pellegrino, General Counsel

Tidal Investments LLC

Exhibit
A

Defiance
Treasury Alternative Yield ETF

Fees
and Expenses of the Fund

This
table describes the fees and expenses that you may pay if you buy, hold, and sell shares of the Fund (“Shares”). You may
pay other fees, such as brokerage commissions and other fees to financial intermediaries, which are not reflected in the table and Example
below.

    Annual
    Fund Operating Expenses(1) (expenses that you pay each year as a percentage of the value of your investment)

    Management
    Fees
    0.99%

    Distribution and/or Service
    (12b-1) Fees
    0.00%

    Other Expenses(2)
    0.00%

    Total Annual Fund Operating
    Expenses
    0.99%

    (1)
    The Fund’s adviser
    will pay, or require a sub-adviser to pay, all of the Fund’s expenses, except for the following: advisory and sub-advisory
    fees, interest charges on any borrowings, dividends and other expenses on securities sold short, taxes, brokerage commissions and
    other expenses incurred in placing orders for the purchase and sale of securities and other investment instruments, acquired fund
    fees and expenses, accrued deferred tax liability, distribution fees and expenses paid by the Fund under any distribution plan adopted
    pursuant to Rule 12b-1 under the Investment Company Act of 1940, as amended (the”1940 Act”), litigation expenses, and
    other non-routine or extraordinary expenses.

    (2)
    Based on estimated amounts
    for the current fiscal year.

Expense
Example

This
Example is intended to help you compare the cost of investing in the Fund with the cost of investing in other funds. The Example assumes
that you invest $10,000 in the Fund for the time periods indicated and then redeem all of your Shares at the end of those periods. The
Example also assumes that your investment has a 5% return each year and that the Fund’s operating expenses remain the same. The
Example does not take into account brokerage commissions that you may pay on your purchases and sales of Shares. Although your actual
costs may be higher or lower, based on these assumptions your costs would be:

    1
    Year
    3
    Years

    $101
    $315