United States securities and exchange commission logo July 17, 2023 Jennifer L. Honeycutt President and Chief Executive Officer Veralto Corporation 2200 Pennsylvania Avenue. N.W., Suite 800W Washington, D.C. 20037-1701 Re: Veralto Corporation Amendment No. 2 to Draft Registration Statement on Form 10 Submitted June 30, 2023 CIK No. 0001967680 Dear Jennifer L. Honeycutt: We have reviewed your amended draft registration statement and have the following comments. In some of our comments, we may ask you to provide us with information so we may better understand your disclosure. Please respond to this letter by providing the requested information and either submitting an amended draft registration statement or publicly filing your registration statement on EDGAR. If you do not believe our comments apply to your facts and circumstances or do not believe an amendment is appropriate, please tell us why in your response. After reviewing the information you provide in response to these comments and your amended draft registration statement or filed registration statement, we may have additional comments. Amendment No. 2 to Draft Registration Statement on Form 10, submitted June 30, 2023 Exhibit 99.1 Information Statement Summary Description of Indebtedness, page 11 1. We note from the financial information on pages 16, 48, 53 and elsewhere, they you anticipate incurring $3 billion in debt in connection with the transaction. Please revise this section and elsewhere throughout the registration statement to disclose the material terms of the financing arrangements. Jennifer L. Honeycutt FirstName LastNameJennifer L. Honeycutt Veralto Corporation Comapany July NameVeralto Corporation 17, 2023 July 17, Page 2 2023 Page 2 FirstName LastName Notes to Unaudited Pro Forma Combined Financial Statements, page 54 2. We note your reference to a commercial sale/license agreement Veralto and Danaher expect to enter into in connection with the separation. Please clarify if this is a reference to the DBS license agreement discussed elsewhere in the Information Statement. If it is a separate agreement, please include a description of the material terms of the agreement and file it as an exhibit to the Registration Statement or tell us why you do not believe you are required to do so. Management's Discussion and Analysis of Financial Condition and Results of Operations Business Segments Water Quality, page 65 3. We note your changes in response to previous comment 1 and reissue the comment. Where the financial statements reflect material changes from period-to-period in one or more line items, Item 303(b)(2) of Regulation S-K requires, in part, a description of the underlying reasons for these material changes in quantitative and qualitative terms. Here and throughout your discussion of your operating results, where you discuss one or more factors responsible for an increase or decrease in a line item, please quantify the contribution of each factor. We note the tables referenced in your response do not quantify all of the factors that impacted core sales. Capital Expenditures, page 75 4. We reissue comment 2, as the revised disclosure did not quantify the components of capital expenditures for each of the periods presented, as requested in the comment. Intellectual Property, page 94 5. We reissue comment 3. Please revise to provide additional detail regarding the information requested in the comment with respect to each segment, rather than the company as a whole. In your revision, please separately quantify the patents for each segment in the United States, rather than including U.S. patents within North America as a whole. Jennifer L. Honeycutt FirstName LastNameJennifer L. Honeycutt Veralto Corporation Comapany July NameVeralto Corporation 17, 2023 July 17, Page 3 2023 Page 3 FirstName LastName You may contact Christie Wong at (202) 551-3684 and Jeanne Baker (202) 551-3691 if you have questions regarding comments on the financial statements and related matters. Please contact Conlon Danberg at (202) 551-4466 or Abby Adams at (202) 551-6902 with any other questions. Sincerely, Division of Corporation Finance Office of Industrial Applications and Services cc: Thomas Greenberg, Esq.