AUDREY L. CHENG
Assistant Vice President, Counsel
Office: (949) 219-3202
Fax: (949) 219-3706
E-mail: Audrey.Cheng@PacificLife.com
October 7, 2020
VIA EDGAR
Yoon Choo, Esq.
Senior Counsel
U.S. Securities and Exchange Commission
Division of Investment Management
100 F Street, NE
Washington, D.C. 20549
RE: Post-Effective Amendment No. 151 for Pacific Select Fund
File Nos. 033-13954 and 811-05141
Dear Ms. Choo:
Pursuant to Rule 477(a) of the Securities Act of 1933, as amended, and on behalf of Pacific Select Fund (“Registrant”), we hereby request the withdrawal of Post-Effective Amendment No. 151 (“Amendment”) to the above referenced Registration Statement, filed on October 6, 2020. The Amendment was filed solely for the purpose of designating October 27, 2020 as the new effective date of Post-Effective Amendment No. 148, which you reviewed.
We request withdrawal of the Amendment because the Intermediate Bond Portfolio intends to commence operations before October 27, 2020. As a result, we respectfully request withdrawal of the Amendment as soon as practicable.
No securities were sold in connection with this Amendment.
Please note that we are filing this application to request a withdrawal of the above referenced Amendment only and are not applying for withdrawals of the entire Registration Statement.
If you have any questions regarding this matter, please contact me at (571) 332-5144.
Sincerely, | |
| |
/s/ Audrey L. Cheng | |
cc: Robin S. Yonis, Esq., Pacific Life Fund Advisors LLC
Laurene MacElwee, Pacific Life Fund Advisors LLC
Anthony H. Zacharski, Esq., Dechert LLP
Rachael Schwartz, Esq., Sullivan & Worcester LLP