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Correspondence 0001140361-23-024781 from KKR Infrastructure Conglomerate LLC (CIK 0001948056)

KKR Infrastructure Conglomerate LLC (CIK 0001948056)
Date: May 15, 2023 · CIK: 0001948056 · Accession: 0001140361-23-024781

AI Filing Summary & Sentiment

File numbers found in text: 000-56484

Referenced dates: May 15, 2023

Date
May 15, 2023
Author
Not clearly detected
Form
CORRESP
Company
KKR Infrastructure Conglomerate LLC (CIK 0001948056)

Letter

VIA EDGAR Securities and Exchange Commission Division of Corporation Finance 100 F Street, N.E. Washington, D.C. 20549

Re:

Dear Ladies and Gentlemen:

On behalf of KKR Infrastructure Conglomerate LLC (the “Company”), we are providing the following response to the comment letter from the staff (“Staff”) of the Commission’s Division of Corporation Finance, dated May 15, 2023. To assist your review, we have retyped the text of the Staff’s comment in italics below.

Unless otherwise defined below, terms defined in the above-referenced registration statement on Form 10-12G (“Post-Effective Amendment No. 1” or the “Registration Statement”) and used below shall have the meanings given to them in Post-Effective Amendment No. 1. The response below is based upon information provided to us by the Company.

Correspondence filed May 9, 2023

Exhibit A, page 3

1.

We note your response to prior comment 1 and reissue our comment in part. Please confirm that you will provide a statement that the Manager is ultimately responsible for your NAV calculations in future filings, as disclosure in Item 9 of your Form 10 is unclear whether the Manager or the Administrator is responsible for the calculation.

BEIJING

BRUSSELS

HONG KONG

HOUSTON

LONDON

LOS ANGELES

PALO ALTO

SÃO PAULO

TOKYO

WASHINGTON, D.C.

Simpson Thacher & Bartlett llp

Securities and Exchange Commission

-2-

May 15, 2023

The Company acknowledges the Staff’s comment and confirms that in future filings it will include a statement acknowledging that the Manager is ultimately responsible for the Company’s NAV calculations.

* * * * * * *

Please do not hesitate to call any of Mark Brod at (212) 455-2163, Rajib Chanda at (202) 636-5543, or Joseph H. Kaufman at (212) 455-2948 with any questions or further comments regarding the Registration Statement or if you wish to discuss any of the above responses.

Very truly yours,
/s/ Simpson Thacher & Bartlett LLP

Show Raw Text
CORRESP
1
filename1.htm

      Simpson Thacher & Bartlett llp

      425 lexington avenue

      new york, ny 10017-3954

      telephone: +1-212-455-2000

      facsimile: +1-212-455-2502

    May 15, 2023

    VIA EDGAR

              Re:

            KKR Infrastructure Conglomerate LLC

            Post- Effective Amendment No. 1 to Registration Statement on Form 10-12G

            Filed February 3, 2023

            File No. 000-56484

      Securities and Exchange Commission

      Division of Corporation Finance

      100 F Street, N.E.

      Washington, D.C.  20549

    Dear Ladies and Gentlemen:

    On behalf of KKR Infrastructure Conglomerate LLC (the “Company”), we are providing the following response to the comment letter from the staff (“Staff”) of the Commission’s Division of Corporation Finance, dated May 15, 2023.  To assist your review, we have retyped the text of the Staff’s comment in italics below.

      Unless otherwise defined below, terms defined in the above-referenced registration statement on Form 10-12G (“Post-Effective Amendment No. 1” or the “Registration Statement”) and used below shall have the meanings
        given to them in Post-Effective Amendment No. 1.  The response below is based upon information provided to us by the Company.

    Correspondence filed  May 9, 2023

    Exhibit A, page 3

          1.

            We note your response to prior comment 1 and reissue our comment in part. Please confirm that you will provide a statement that the Manager is ultimately responsible for your NAV calculations in future filings,
              as disclosure in Item 9 of your Form 10 is unclear whether the Manager or the Administrator is responsible for the calculation.

              BEIJING

              BRUSSELS

              HONG KONG

              HOUSTON

              LONDON

              LOS ANGELES

              PALO ALTO

              SÃO PAULO

              TOKYO

              WASHINGTON, D.C.

                Simpson Thacher & Bartlett llp

              Securities and Exchange Commission

               -2-

              May 15, 2023

      The Company acknowledges the Staff’s comment and confirms that in future filings it will include a statement acknowledging that the Manager is ultimately
        responsible for the Company’s NAV calculations.

    * * * * * * *

    Please do not hesitate to call any of Mark Brod at (212) 455-2163, Rajib Chanda at (202) 636-5543, or Joseph H. Kaufman at (212) 455-2948 with any questions or further comments regarding the
      Registration Statement or if you wish to discuss any of the above responses.

            Very truly yours,

            /s/ Simpson Thacher & Bartlett LLP

            Simpson Thacher & Bartlett LLP

            cc:

            KKR Infrastructure Conglomerate LLC

            Jason Carss

            Rajib Chanda

            Joseph H. Kaufman

            Mark Brod