VIA EDGAR
Brent Fields, Assistant Director
Office of Disclosure and Review
Division of Investment Management
Securities and Exchange Commission
100 F Street, N.E.
Washington, D.C. 20549
Re: Fidelity Capital & Income Fund
Fidelity Focused High Income Fund
Fidelity Government Money Market Fund
Fidelity High Income Fund
Fidelity Inflation-Protected Bond Fund
Fidelity Large Cap Stock Fund
Fidelity Mid-Cap Stock Fund
Fidelity Money Market Fund
Fidelity Small Cap Discovery Fund (formerly Fidelity Small Cap Retirement Fund)
Fidelity Small Cap Stock Fund
Fidelity US Treasury Money Market Fund
Request pursuant to rule 485(b)(1)(vii)
Dear Mr. Fields:
We are currently preparing the annual update filings for Fidelity Capital & Income Fund, Fidelity Focused High Income Fund, Fidelity Government Money Market Fund, Fidelity High Income Fund, Fidelity Inflation Protected Bond Fund, Fidelity Large Cap Stock Fund, Fidelity Mid-Cap Stock Fund, Fidelity Money Market Fund, Fidelity Small Cap Discovery Fund (formerly Fidelity Small Cap Retirement Fund), Fidelity Small Cap Stock Fund, and Fidelity US Treasury Money Market Fund (the funds). Because the funds will include disclosure relating to the Enhanced Disclosure and New Prospectus Delivery Option for Registered Open-End Management Investment Companies Final Rule that is substantially the same as disclosure relating to the subject that was included in the 485(a) filings submitted to the Staff on September 17, 2009, October 16, 2009, November 16, 2009, and December 15, 2009 (see Attachment 1 for list of trusts/funds), we respectfully request permission to file the annual update filings for the fund under Rule 485(b)(1)(vii). The funds' filings contain other nonmaterial changes, including additional disclosure intended to highlight the disclosure included in the September 17, 2009, October 16, 2009, November 16, 2009, and December 15, 2009, 485(a) filings, but contain no other disclosures that would make them ineligible to file under Rule 485(b).
We would appreciate an early response to this request so that we can plan our filing schedule accordingly. Please call me at (617) 563-1375 if you have any questions or comments. Thank you for your consideration.
Identifying information for the funds for which this request is made is provided in Attachment 1.
Sincerely,
/s/ Jamie Plourde
Jamie Plourde
Senior Product Manager I
cc: Christian Sandoe
Attachment 1
Name of Trust and/or Fund(s) for which rule 485(b)(1)(vii) relief is requested: | Similar Trust/Fund(s) in which the new disclosure was previously subject to review: |
Fidelity Commonwealth Trust: 811-02546 | Fidelity Capital Trust: |
Name of Trust and/or Fund(s) for which rule 485(b)(1)(vii) relief is requested: | Similar Trust/Fund(s) in which the new disclosure was previously subject to review: |
Fidelity Fixed-Income Trust: | Fidelity Fixed-Income Trust: |
Name of Trust and/or Fund(s) for which rule 485(b)(1)(vii) relief is requested: | Similar Trust/Fund(s) in which the new disclosure was previously subject to review: |
Fidelity Hereford Street Trust: | Fidelity Phillips Street Trust: |
Name of Trust and/or Fund(s) for which rule 485(b)(1)(vii) relief is requested: | Similar Trust/Fund(s) in which the new disclosure was previously subject to review: |
Fidelity Summer Street Trust: | Fidelity School Street: |