Skadden, Arps, Slate, Meagher & Flom llp
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DIRECT DIAL
617-573-4836
DIRECT FAX
617-305-4836
EMAIL ADDRESS
KENNETH.BURDON@SKADDEN.COM
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500 BOYLSTON STREET
BOSTON, MASSACHUSETTS 02116
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TEL: (617) 573-4800
FAX: (617) 573-4822
www.skadden.com
June 1, 2015
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FIRM/AFFILIATE OFFICES
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CHICAGO
HOUSTON
LOS ANGELES
NEW YORK
PALO ALTO
WASHINGTON, D.C.
WILMINGTON
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BEIJING
BRUSSELS
FRANKFURT
HONG KONG
LONDON
MOSCOW
MUNICH
PARIS
SÃO PAULO
SEOUL
SHANGHAI
SINGAPORE
SYDNEY
TOKYO
TORONTO
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RE:
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Gabelli Closed-End Funds
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1.
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Please advise the staff whether either Fund had any payables due to any of its officers or trustees at December 31, 2014. If so, please reflect them in your response letter to the staff and please include any such payables as a separate line item in the Statement of Assets and Liabilities in future shareholder reports.
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2.
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Note 1 to GGN’s financial statements states, “The Fund’s primary investment objective is to provide a high level of current income. The Fund’s secondary investment objective is to seek capital appreciation consistent with the Fund’s strategy and its primary objective.” GGN’s Financial Highlights state that all distributions to common shareholders during the fiscal year ended December 31, 2014 were returns of capital. Inasmuch as GGN’s primary investment objective is to provide a high level of current income, please consider whether GGN’s investment strategies are achieving its primary investment objective and whether it would be appropriate to change GGN’s primary investment objective.
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2014
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2013
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Total Investment Income
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$15,342,219
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$20,660,456
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Net Investment Income
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$2,228,431
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$6,821,148
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Net Realized Gain on Written Options
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$91,843,513
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$106,003,658
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Net Realized Loss on Investments
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($144,027,877)
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($41,876,570)
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Total Net Realized Gain/(Loss)
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($52,474,395)
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$63,911,277
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Total Income Distributions (including short term capital gains)
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$2,112,605
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$88,885,289
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Total Return of Capital Distributions
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$120,226,787
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$65,970,076
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3.
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Both Funds’ financial statement notes include disclosures regarding derivative positions. FAS 815-10-50 requires this disclosure to include the location and amount of the gains and losses on derivatives instruments. Please confirm that the Funds will include this disclosure in future shareholder reports to the extent applicable.
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·
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They are responsible for the adequacy and accuracy of the disclosures in their filings with the Securities and Exchange Commission (the “Commission”);
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·
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Commission staff comments on, or changes to disclosure in response to staff comments in, the Funds’ filings do not foreclose the Commission from taking any action with respect to the Funds’ filings; and
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·
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the Funds may not assert staff comments as a defense in any proceeding initiated by the Commission or any person under the federal securities laws of the United States.
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Best regards,
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/s/ Kenneth E. Burdon
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Kenneth E. Burdon
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