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Correspondence 0001528621-24-000832 from GUGGENHEIM DEFINED PORTFOLIOS, SERIES 2422 (CIK 0002008078)

GUGGENHEIM DEFINED PORTFOLIOS, SERIES 2422 (CIK 0002008078)
Date: Aug. 14, 2024 · CIK: 0002008078 · Accession: 0001528621-24-000832

AI Filing Summary & Sentiment

File numbers found in text: 333-280476, 811-03763

Date
August 14, 2024
Author
Chapman
Form
CORRESP
Company
GUGGENHEIM DEFINED PORTFOLIOS, SERIES 2422 (CIK 0002008078)

Letter

Via EDGAR Filing Division of Investment Management Securities and Exchange Commission Washington, DC 20549 Re: Guggenheim Defined Portfolios, Series 2422 Core Four 60/40 Allocation Portfolio, Series File Nos. 333-280476 and 811-03763

Dear Mr. Brodsky:

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 2422, filed on June 26, 2024, with the Securities and Exchange Commission (the “Commission”). The registration statement proposes to offer the Core Four 60/40 Allocation Portfolio, Series 28 (the “trust”).

PROSPECTUS

Investment Summary — Principal Investment Strategy

1. Please disclose how the trust is defining the term “primary market” and the phrase “becoming more engaged with global markets.”

Response: In response to the comment, the third sentence of the third paragraph under “Principal Investment Strategy” will be removed and replaced with:

A non-U.S. company is a company for which the country of incorporation and the primary listing is outside the United States; however, if these two factors differ, the location of the company’s sales and assets is also considered.

The fifth and sixth sentences of the third paragraph under “Principal Investment Strategy” will be removed and replaced with the following:

An emerging market is generally defined as a developing country with low per capita income in the initial stages of its industrialization cycle.

2. Please disclose concretely the trust’s actual investments as of the date of deposit, ensuring that the Principal Risks section only covers risks associated with the trust’s actual investments at the date of deposit.

Response: Once the portfolio is selected, disclosure will be added that states the types of investments that represent a significant amount of the trust’s assets as of the date of deposit. The section entitled “Principal Risks” will be revised to match this list, as appropriate.

* * * * *

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

Show Raw Text
CORRESP
1
filename1.htm

    Unassociated Document

Chapman and Cutler LLP

320 South Canal Street, 27th Floor

Chicago, Illinois 60606

August 14, 2024

Via EDGAR Filing

Mr. Aaron Brodsky

Division of Investment Management

Securities and Exchange Commission

100 F Street, N.E.

Washington, DC 20549

Re:	Guggenheim Defined Portfolios, Series 2422

Core Four 60/40 Allocation Portfolio, Series
28

File Nos. 333-280476 and 811-03763

Dear Mr. Brodsky:

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 2422, filed on June 26, 2024, with the Securities and Exchange Commission (the “Commission”).
The registration statement proposes to offer the Core Four 60/40 Allocation Portfolio, Series 28 (the “trust”).

PROSPECTUS

Investment
Summary — Principal Investment Strategy

1.	Please disclose
how the trust is defining the term “primary market” and the phrase “becoming more engaged with global markets.”

Response: In response to
the comment, the third sentence of the third paragraph under “Principal Investment Strategy” will be removed and replaced
with:

A non-U.S. company is
a company for which the country of incorporation and the primary listing is outside the United States; however, if these two factors differ,
the location of the company’s sales and assets is also considered.

The fifth and sixth sentences
of the third paragraph under “Principal Investment Strategy” will be removed and replaced with the following:

An emerging market is
generally defined as a developing country with low per capita income in the initial stages of its industrialization cycle.

2. Please
disclose concretely the trust’s actual investments as of the date of deposit, ensuring that the Principal Risks section only covers
risks associated with the trust’s actual investments at the date of deposit.

Response: Once
the portfolio is selected, disclosure will be added that states the types of investments that represent a significant amount of the trust’s
assets as of the date of deposit. The section entitled “Principal Risks” will be revised to match this list, as appropriate.

*	*	*	*	*

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