STEVEN B. BOEHM
DIRECT LINE: 202.383.0176
E-mail: steven.boehm@sutherland.com
April 19, 2012
VIA EDGAR
Ms. Dalia Blass
Securities and Exchange Commission
100 F Street, N.E.
Washington, D.C. 20549
RE: | Monroe Capital Corporation, et. al.; File No. 812-13928 |
Request for Withdrawal of Application
Dear Ms. Blass:
On July 27, 2011, Monroe Capital Corporation (the Company), Monroe Capital Partners Fund, L.P. (Monroe SBIC), MC Funding Ltd. (MC Funding), Monroe Capital BDC Advisors, LLC (the Adviser), Monroe Capital Partners Fund Advisors, Inc. (Monroe SBIC Adviser), and Monroe Capital Management, LLC (the Monroe Collateral Manager, and together with Monroe SBIC Adviser, the Adviser Affiliates), (collectively, the Applicants) filed an application (Application) seeking exemptive relief pursuant to Section 57(i) of the Investment Company Act of 1940, as amended and Rule 17d-1 thereunder, authorizing certain joint transactions that otherwise may be prohibited by Section 57(a)(4).
On behalf of Applicants, we hereby respectfully request that the Application be withdrawn and that the Securities and Exchange Commission take no further action with respect to the Application. If you have any questions regarding this request, please contact me at (202) 383-0176.
Very truly yours,
/s/ Steven B. Boehm