Document
Managed Portfolio Series
c/o U.S. Bank Global Fund Services
615 East Michigan Street
Milwaukee, Wisconsin 53202
March 1, 2022
VIA EDGAR TRANSMISSION
Ms. Mindy Rotter
U.S. Securities and Exchange Commission
Division of Investment Management
100 F Street, N.E.
Washington, D.C. 20549
Re: Managed Portfolio Series (the “Trust”)
File Nos.: 33-172080 and 811-22525
Dear Ms. Rotter:
The purpose of this letter is to respond to the comments you provided to the Trust in connection with the SEC Staff’s Sarbanes-Oxley Act of 2002, as amended, review (“SOX Review”) of the following Funds:
| | | | | | | | |
Count | Series Name | Registrant Name |
1 | Muhlenkamp Fund | Managed Portfolio Series |
2 | TorrayResolute Small/Mid Cap Growth Fund | Managed Portfolio Series |
3 | Great Lakes Disciplined Equity Fund | Managed Portfolio Series |
4 | Great Lakes Large Cap Value Fund | Managed Portfolio Series |
5 | Great Lakes Small Cap Opportunity Fund | Managed Portfolio Series |
6 | Port Street Quality Growth Fund | Managed Portfolio Series |
7 | Nuance Concentrated Value Fund | Managed Portfolio Series |
8 | Nuance Mid Cap Value Fund | Managed Portfolio Series |
9 | Nuance Concentrated Value Long-Short Fund | Managed Portfolio Series |
10 | Reinhart Mid Cap PMV Fund | Managed Portfolio Series |
11 | Reinhart Genesis PMV Fund | Managed Portfolio Series |
1.Please confirm supplementally in correspondence that shareholder reports will be transmitted in accordance with the requirements of 17 CFR 270.30e-1(c).
The Trust confirms supplementally that going forward shareholder reports will be transmitted in accordance with the requirements of 17 CFR 270.30e-1(c).
* * * * * *
We trust that the above responses adequately address your comments. If you have any additional questions or require further information, please contact me at 414-765-6115.
Sincerely,
MANAGED PORTFOLIO SERIES
/s/ Adam W. Smith
Adam W. Smith
For U.S. Bank Global Fund Services
cc: Michael P. O’Hare, Esq., Stradley Ronon Stevens & Young, LLP