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| | | Elizabeth Gioia |
| | | Counsel |
| | | Law Department |
| | | Direct Dial: (860)323-2120 |
| | | Fax: (855)722-9055 |
June 29, 2012
Michael Kosoff
Office of Insurance Products
United States Securities and Exchange Commission
Division of Investment Management
Washington, D.C. 20549
Re: | | Hartford Life Insurance Co Separate Account Seven |
| | File Nos. 333-176149; 811-04972 |
Dear Mr. Kosoff:
Presented below please find specific responses to each of your comments and questions from June 27, 2012:
1. Fund Table — Total Annual Fund Operating Expenses (pp. 5-10)
Management fees for the American Funds Master Feeder Funds should be reflected in the appropriate columns as according to Form N1-A and as reflected in the underlying fund Registration Statement.
RESPONSE: Agreed.
2. Expense Examples (p. 11).
Please confirm that the 5 and 10 year columns do not contain the charge for the liquidity feature, and revise the prefatory language accordingly.
RESPONSE: The expense examples reflect that the liquidity rider charge is only reflected in years 1 and 3 and that in all years the highest possible charges are reflected in the examples. We have revised the prefatory language accordingly.
3. Liquidity Feature (p. 26)
Please clarify whether or not the rider fee can increase after the rider is elected.
RESPONSE: Agreed.
4. Daily Lock Income Benefit (p. 57)
Please clarify in the Objective that longevity protection is offered in the form of lifetime payments.
RESPONSE: Agreed.
Sincerely, | |
| |
/s/ Elizabeth L. Gioia | |
Elizabeth L. Gioia | |
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