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Securities Exchange Act of 1934
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Re: |
Cash Tender Offer for Series B Shares and ADSs of Grupo Aeropotuario |
Dear Mr. Hlawaty:
We are responding to your letter dated May 9, 2007 addressed to Brian V. Breheny, Christina Chalk, and James A. Brigagliano, as supplemented by telephone conversations with the staff, with regard to your request for exemptive relief. Our response is attached to the enclosed photocopy of your letter to avoid having to recite or summarize the facts set forth in your letter. Unless otherwise noted, capitalized terms in this letter have the same meaning as in your correspondence.
On the basis of your representations and the facts presented in your letter, the United States Securities and Exchange Commission ("Commission") hereby grants exemptions from the following rules:
The foregoing exemptive relief is based solely on the representations and the facts presented in your letter dated May 9, 2007, as supplemented by telephone conversations with the staff. The relief is strictly limited to the application of the rules listed above to this transaction. You should discontinue this transaction pending further consultations with the staff if any of the facts or representations set forth in your letter change.
We also direct your attention to the anti-fraud and anti-manipulation provisions of the federal securities laws, including Sections 10(b) and 14(e) of the Exchange Act, and Rule 10b-5 thereunder. The participants in this transaction must comply with these and any other applicable provisions of the federal securities laws. The Divisions of Corporation Finance and Market Regulation express no view on any other questions that may be raised by the proposed transaction, including but not limited to, the adequacy of disclosure concerning and the applicability of any other federal or state laws to the proposed transaction.
For the Commission,
by the Division of Corporation Finance
pursuant to delegated authority
Brian V. Breheny
Chief
Office of Mergers and Acquisitions
For the Commission,
by the Division of Market Regulation
pursuant to delegated authority
James A. Brigagliano
Associate Director
The Incoming Letters are in Acrobat format.
http://www.sec.gov/divisions/corpfin/cf-noaction/2007/gads050907-14e-5.htm
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