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CORRESP Filing
E2open Parent (ETWO) CORRESPCorrespondence with SEC
Filed: 22 Apr 20, 12:00am
Goldman Sachs & Co. LLC
200 West Street
New York, New York 10282
BofA Securities, Inc.
One Bryant Park
New York, New York 10036
April 22, 2020
VIA EDGAR
Securities and Exchange Commission
Division of Corporation Finance
100 F Street, N.E.
Washington, DC 20549
Attention: Stacie Gorman
| Re: | CC Neuberger Principal Holdings I |
|
| Registration Statement on Form S-1 |
|
| File No. 333-236974 |
Dear Ms. Gorman:
Reference is made to our letter, filed as correspondence via EDGAR on April 20, 2020, in which we, the representatives of the several underwriters (the “Representatives”), joined in the request of CC Neuberger Principal Holdings I (the “Company”) to accelerate the effective date of the above-referenced registration statement for April 22, 2020, at 4:00 p.m. Eastern Time, in accordance with Rule 461 under the Securities Act of 1933, as amended. The Company is no longer requesting that such registration statement be declared effective at this time and we, as Representatives, hereby join in the request of the Company to withdraw the request for acceleration of the effective date.
| Very truly yours, | ||
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| GOLDMAN SACHS & CO. LLC | ||
| as Representative of the Several Underwriters | ||
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| By: | /S/OLYMPIA MCNERNEY | |
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| Name: | Olympia McNerney |
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| Title: | Managing Director |
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| BOFA SECURITIES, INC. | ||
| as Representative of the Several Underwriters | ||
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| By: | /S/MICHAEL LILOIA | |
|
| Name: | Michael Liloia |
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| Title: | Director |
[Signature Page to the Withdrawal of Acceleration Request]