1900 K Street, NW | |
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| COREY F. ROSE |
December 8, 2016
VIA ELECTRONIC TRANSMISSION
U.S. Securities and Exchange Commission
100 F Street, N.E.
Washington, D.C. 20549
Re: THE HARTFORD MUTUAL FUNDS, INC., FILE NOS. 333-02381/811-07589
Dear Sir or Madam:
Pursuant to Rule 477 under the Securities Act of 1933, as amended, The Hartford Mutual Funds, Inc. (the “Company”) respectfully requests withdrawal of the following Post-Effective Amendment to the Company’s Registration Statement on Form N-1A (the “Amendment”):
Post Effective |
| Date Filed |
| Submission Type |
| Accession Number |
149 |
| 12/8/16 |
| 485BXT |
| 0001104659-16-161198 |
The Amendment was intended to delay the effectiveness of Post-Effective Amendment 148 to the Company’s Registration Statement on Form N-1A, but contained an incorrect effective date for the registration statement for the series of the Company to which that amendment relates. No securities were sold in connection with the Amendment and the Company will file a subsequent 485BXT with the correct effective date to delay Post-Effective Amendment 148.
Please contact me at (202) 261-3314 or John V. O’Hanlon at (617) 728-7111 with any comments or questions
| Sincerely, | |
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| /s/ Corey F. Rose | |
| Corey F. Rose | |
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cc: | Alice A. Pellegrino |
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| John V. O’Hanlon |
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