MUTUAL OF AMERICA
MUTUALOF AMERICA
LIFE INSURANCE COMPANY
320 PARK AVENUE
NEW YORK NY 10022-6839
212 224 1840
212 224 2518 FAX
AMY LATKIN
VICE PRESIDENTAND
ASSOCIATE GENERAL COUNSEL
CORPORATE LAW
AMY.LATKIN@MUTUALOFAMERICA.COM
December 12, 2017
Via EDGAR correspondence
Securities and Exchange Commission
100 F Street, N.E.
Washington, DC 20549
Attention: Ms. Elizabeth Bensinger
Re: | Mutual of America Separate Account No. 2 (TDA/VEC Contracts) (the “Registrant”) |
| Request for Withdrawal of Initial Registration Statement on FormN-4 |
Dear Ms. Bensinger:
Pursuant to Rule 477 under the Securities Act of 1933, as amended (the “Securities Act”), the Registrant respectfully requests the withdrawal of the Registration Statement on FormN-4 (FileNo. 333-221513), together with all exhibits thereto (collectively, the “Registration Statement”). The purpose of the new Registration Statement, which was filed on November 13, 2017, was to separately register certain group variable annuity contracts that are currently included in another registration statement.
The Registrant confirms that no securities have been sold in connection with the offering contemplated by the Registration Statement.
The Registrant is requesting the withdrawal of the Registration Statement because it was inadvertently filed without the requisite delaying amendment statement to prevent automatic effectiveness, per Section 8(a) of the Securities Act.
If you have any questions or need additional information, please do not hesitate to contact the undersigned at the above telephone number, or my colleague, Scott Rothstein at212-224-1530, at your earliest convenience. We appreciate your attention to this matter.
Sincerely,
Amy Latkin
Vice President and
Associate General Counsel