Question
BY FAX (202) 326-2624
AND REGULAR MAIL
June 9, 1999
Richard B. Smith
Premerger Notification Office
Â鶹´«Ã½ Trade Commission
Pennsylvania Avenue
Washington DC 20580
Dear Dick:
Thank you for confirming that the redemption transaction described in my letter of June 8, 1999 is a non-reportable transaction. Also, in response to a question you raised on the telephone, the creation of the new LLC (the T-1/T-2 LLC) referenced in footnote 1 of my letter was not a reportable transaction under the new LLC regulation because, as you correctly thought, it does not have $10 million in assets, nor did it have two businesses/operating units contributed to it.
We will soon file a premerger notification report with respect to the LLC?s asset sale, as you and our analysis suggests we should. I appreciate your responsiveness to our inquiry and look forward to speaking with you on other transactions in the future.
Very truly yours,
(redacted)