Kathleen M. Macpeak
+1.202.373.6149
kathleen.macpeak@morganlewis.com
December 11, 2019
Elisabeth Bentzinger
U.S. Securities and Exchange Commission
Division of Investment Management
100 F Street NE
Washington, DC 20549
Re: | Nuveen California AMT-Free Quality Municipal Income Fund (NKX or the Fund) |
File Nos. 333-225399 and 811-21212 |
Dear Ms. Bentzinger:
The purpose of this letter and attached exhibit is to respond to comments you provided via telephone on August 15, 2018 to the Funds initial registration statement on Form N-2, which was filed on June 1, 2018 for the purpose of registering additional common shares of the Fund. The following summarizes your comments and our responses. Unless otherwise noted, capitalized terms have the same meaning as contained in the Funds Prospectus or Form N-2. Any underlined language is to distinguish new language from existing language and is underlined only for this correspondence.
PROSPECTUS
1. | Comment: Because the term Quality in the name of the Fund qualifies Municipal Income, please clarify that the Funds policy to invest at least 80% of its Managed Assets in investment grade securities that, at the time of investment, are rated within the four highest grades (Baa or BBB or better) by at least one nationally recognized statistical rating organization or are unrated but judged to be of comparable quality by NFALLC and/or Nuveen Asset Management applies to municipal securities. |
Response: Registrant will make the requested change.
2. | Comment: Please disclose that, for purposes of determining compliance with the Funds investment policies, for purposes of calculating Managed Assets, the Fund will value eligible derivatives at market value or fair value instead of notional value. |
Response: Registrant will add the requested disclosure.
3. | Comment: Please consider adding risk disclosure regarding financial futures and options to the summary. |
Morgan, Lewis & Bockius LLP
1111 Pennsylvania Avenue, NW |
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Washington, DC 20004 |
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United States |
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Elisabeth Bentzinger
December 11, 2019
Page 2
Response: Registrant will add a cross-reference to the disclosure regarding such instruments that is contained in the Risk Factors section of the Prospectus.
4. | Comment: Please define the term effective leverage in the disclosure. |
Response: For purposes of simplifying the disclosure, the Registrant has determined to remove this term from the Prospectus.
PART C
5. | Comment: Please confirm supplementally that the Registrant will file with the Commission final versions of agreements required to be filed pursuant to Item 25.2 of Form N-2. |
Response: The Registrant so confirms.
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If you have any additional questions or comments, please do not hesitate to contact me at 202.373.6149.
Sincerely yours,
/s/ Kathleen M. Macpeak
Kathleen M. Macpeak
cc: | Gifford Zimmerman |
Mark Winget
encl.