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FORM
RW
November
3, 2020
VIA EDGAR
U.S.
Securities and Exchange Commission
Division
of Corporation Finance
100 F
Street N.E.
Washington,
D.C. 20549
RE:
Request for Withdrawal of Form S-3 Registration Statement (Reg. No.
333-249742)
Dear
Sir or Madam:
Pursuant to Rule
477 of Regulation C under the Securities Act of 1933, as amended
(“Rule 477”),
Community Bancorp., a Vermont corporation (the “Company”), hereby requests that
the U.S. Securities and Exchange Commission (the
“Commission”)
consent to the withdrawal of the Company’s Registration
Statement on Form S-3 (Reg. No. 333-249742) filed with the
Commission on October 30, 2020 (the “S-3 Registration Statement”). The
Company has not sold any securities pursuant to the S-3
Registration Statement.
The
Company submits this request for withdrawal because it filed the
S-3 Registration Statement in error, as the filing relates solely
to the offer and sale of securities pursuant to the Company’s
dividend reinvestment plan and should have been filed as a Form
S-3D registration statement. Following the erroneous filing of the
S-3 Registration Statement, the Company filed a Registration
Statement on Form S-3D (Reg. No. 333-249743) (the
“S-3D Registration Statement”) and
intends to make its offers and sales of securities pursuant to the
dividend reinvestment plan under the S-3D Registration Statement,
not the S-3 Registration Statement. In light of the
foregoing, the Company believes withdrawal of the S-3 Registration
Statement would be consistent with the public interest and the
protection of investors as contemplated by paragraph (a) of Rule
477.
If you
have any questions regarding this request for withdrawal, please
contact the undersigned at (802) 334-7915 or our legal counsel,
Denise J. Deschenes of Primmer Piper Eggleston & Cramer PC at
(603) 444-4008.
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Sincerely,
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COMMUNITY
BANCORP.
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By: /s/
Kathryn M. Austin
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Name:
Kathryn M. Austin
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Title:
President & Chief Executive Officer
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