| 26. | Comment: Please move the “Concentration Risk” discussion to the principal risks section and revise the discussion as follows: |
Concentration Risk. The Fund’s assetsmaywill be concentrated in an industry or group of industries, but only to the extent that the Fund’s underlying Index concentrates in a particular industry or group of industries. When the Fund focuses its investments in a particular industry or sector, financial, economic, business, and other developments affecting issuers in that industry, market, or economic sector will have a greater effect on the Fund than if it had not focused its assets in that industry, market, or economic sector, which may increase the volatility of the Fund.
Response: The Registrant believes the current placement of the “Concentration Risk” discussion is appropriate. Because the Fund’s strategy is to track its Index, the Fund’s investments may be concentrated in a particular industry or group of industries to the extent that its Index is concentrated in a particular industry or group of industries. As a result, the Fund may or may not be concentrated at any given time. The Registrant notes that, to the extent the Fund invests significantly in a sector as of a certain date, disclosure will be included in the Fund’s corresponding “Principal Risks of Investing in the Fund” section. Please also see the response to Comment 7 above for an explanation of why the Registrant believes using the term “may” is more appropriate than “will.”
| 27. | Comment: Please move “Money Market Risk” to the principal risks section given the Fund’s principal strategy identifies money market funds as a principal investment. |
Response: The Registrant has not made the requested change. Please see the response to Comment 9 above.
SAI
| 28. | Comment: Please include a fundamental diversification policy in the “Investment Restrictions” section and state the Fund will be diversified to approximately the same extent as its index is diversified. |
Response: The Registrant notes the “Diversification Status” discussion in the “Investment Policies” section of the SAI currently includes the Fund’s diversification policy as well as a statement noting the Fund seeks to track the performance of its Index and, as a result, the Fund’s diversification status may fluctuate between diversified and non-diversified.
| 29. | Comment: With respect to the fundamental concentration policy included in the “Investment Restrictions” section, please revise to clarify that the Fund will concentrate to the extent its index concentrates. Please also revise to indicate that the Fund will consider investments of investment companies in which it invests when determining compliance. |
Response: The Registrant believes the current fundamental concentration policy is appropriate. As noted in response to Comment 7, there may be instances when the Index is concentrated in an industry or group of industries, but the Fund is not. In addition, the Registrant expects the Fund’s investments in underlying funds to be minimal and, therefore, does not anticipate such investments impacting the Fund’s concentration policy.
| 30. | Comment: Please revise the Fund’s Names Rule policy in the “Investment Restrictions” section to include companies that meet ESG criteria. |
Response: Please see the response to Comment 6 explaining why the Registrant does not believe Rule 35d-1 applies to the term “ESG.”