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Correspondence 0001445546-24-008538 from FT 11893 (CIK 0002038665)

FT 11893 (CIK 0002038665)
Date: Dec. 20, 2024 · CIK: 0002038665 · Accession: 0001445546-24-008538

AI Filing Summary & Sentiment

File numbers found in text: 333-282868

Date
December 20, 2024
Author
Not clearly detected
Form
CORRESP
Company
FT 11893 (CIK 0002038665)

Letter

Division of Investment Management Re: FT 11893 FT Short Duration Fixed Income Model Portfolio, 1Q ‘25 (the “Trust”) CIK No. 2038665 File No. 333-282868

Dear Mr. Cowan:

We received your comments regarding the Registration Statement for the above captioned Trust. This letter serves to respond to your comments.

Comments

Portfolio

1.If the nature of the Trust's investments in distressed debt securities relate to certain of the ETFs purchasing distressed debt securities directly (rather than from merely holding bonds that become distressed after purchase), please add related strategy disclosure as appropriate.

Response:The Trust notes that it does not anticipate investing in ETFs that purchase distressed debt securities directly. The Trust further notes that distressed debt securities do not rise to a level of principal investment for the Trust. Nevertheless, the Trust believes the current risk disclosure is adequate and necessary for investor comprehension as the distressed debt securities risk disclosure is substantially related to the high-yield securities risk disclosure. Therefore, the Trust respectfully declines to add distressed debt securities to the “Portfolio Selection Process” section.

Risk Factors

2.If the Funds held by the Trust invest in emerging markets, please add relevant risk disclosure.

Response:If, based on the Trust’s final portfolio, the Trust has exposure to Funds that invest in emerging market companies, appropriate risk disclosure will be added to the Trust’s prospectus.

3.If the Funds held by the Trust invest in subprime residential mortgage loans, please add relevant risk disclosure.

Response:In accordance with the Staff’s comment, if the Trust’s final portfolio has exposure to funds that invest in subprime residential mortgage loans, appropriate disclosure will be added to the Trust’s prospectus.

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 Brian D. Free at (312) 845-3017 or the undersigned at (312) 845-3721.

Very truly yours,
Chapman and Cutler llp

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CORRESP
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        Chapman and Cutler LLP

320 South Canal Street, 27th Floor

Chicago, Illinois 60606

T 312.845.3000

F 312.701.2361

www.chapman.com

December 20, 2024

Mark Cowan

U.S. Securities and Exchange Commission

Division of Investment Management

Disclosure Review Office

100 F Street, N.E.

Washington, D.C. 20549

    Re:
    FT 11893

    FT Short Duration Fixed Income Model Portfolio, 1Q ‘25

    (the “Trust”)

    CIK No. 2038665 File No. 333-282868

Dear Mr. Cowan:

We received your comments
regarding the Registration Statement for the above captioned Trust. This letter serves to respond to your comments.

Comments

Portfolio

1.If
the nature of the Trust's investments in distressed debt securities relate to certain of the ETFs purchasing distressed debt securities
directly (rather than from merely holding bonds that become distressed after purchase), please add related strategy disclosure as appropriate.

Response:The
Trust notes that it does not anticipate investing in ETFs that purchase distressed debt securities directly. The Trust further notes that
distressed debt securities do not rise to a level of principal investment for the Trust. Nevertheless, the Trust believes the current
risk disclosure is adequate and necessary for investor comprehension as the distressed debt securities risk disclosure is substantially
related to the high-yield securities risk disclosure. Therefore, the Trust respectfully declines to add distressed debt securities to
the “Portfolio Selection Process” section.

Risk Factors

2.If
the Funds held by the Trust invest in emerging markets, please add relevant risk disclosure.

Response:If,
based on the Trust’s final portfolio, the Trust has exposure to Funds that invest in emerging market companies, appropriate risk
disclosure will be added to the Trust’s prospectus.

3.If
the Funds held by the Trust invest in subprime residential mortgage loans, please add relevant risk disclosure.

Response:In
accordance with the Staff’s comment, if the Trust’s final portfolio has exposure to funds that invest in subprime residential
mortgage loans, appropriate disclosure will be added to the Trust’s prospectus.

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 Brian D. Free at (312) 845-3017 or the undersigned at (312) 845-3721.

    Very truly yours,

    Chapman and Cutler llp

    By:
    /s/ Daniel J. Fallon

    Daniel J. Fallon