GFL ENVIRONMENTAL HOLDINGS INC.
100 New Park Place, Suite 500
Vaughan, Ontario, Canada L4K 0H9
November 6, 2019
VIA EDGAR TRANSMISSION
Re: Withdrawal of Acceleration Request for
GFL Environmental Holdings Inc.
Registration Statement on Form F-1 (File No. 333-232731)
Securities and Exchange Commission
Division of Corporation Finance
100 F Street, N.E.
Washington, D.C. 20549
Attention: Sergio Chinos
Asia Timmons-Pierce
Ladies and Gentlemen:
Reference is made to our letter, filed as correspondence via EDGAR on November 4, 2019, pursuant to Rule 461 under the Securities Act of 1933, as amended, in which we requested that the staff of the Securities and Exchange Commission accelerate the effective date of the above-referenced Registration Statement so that it would become effective at 4:00 p.m., Washington, D.C. time, on November 6, 2019, or as soon as practicable thereafter.
We are no longer requesting that such Registration Statement be declared effective at this time and we hereby formally withdraw our request for acceleration of the effective date.
If you require any additional information with respect to this letter, please contact Ryan Bekkerus (212) 455-2293 of Simpson Thacher & Bartlett LLP.
[Signature Page Follows]
| Very truly yours, |
| |
| GFL ENVIRONMENTAL HOLDINGS INC. |
| |
| By: | /s/ Mindy Gilbert |
| | Name: | Mindy Gilbert |
| | Title: | Executive Vice President and General Counsel |
cc: Securities and Exchange Commission
Nudrat Salik
Al Pavot