|
Re:
|
Cross
Timbers Royalty Trust
|
|
|
Form
10-K for the Fiscal Year Ended December 31,
2009
|
|
|
Filed
February 23, 2010
|
|
|
File
No. 1-10982
|
|
1.
|
Please
provide all of the disclosure required by Item 101 of Regulation S-K,
including information regarding the competition in your
industry.
|
|
2.
|
Please
eliminate the suggestion in the introductory paragraph that you have not
included all material risks in this
section.
|
|
3.
|
You
sometimes refer to two or more sources as components that contributed to a
material change. Ensure that you quantify the amount of the
change that was contributed by each of these factors. See
Section III.D of SEC Release
33-6835.
|
|
-
|
the
trustee is responsible for the adequacy and accuracy of the disclosure in
the filing;
|
|
-
|
staff
comments or changes to disclosure in response to staff comments do not
foreclose the Commission from taking any action with respect to the
filing; and
|
|
-
|
the
trustee 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.
|
|
Very
truly yours,
|
|
| /s/ Nancy G. Willis | |
|
Nancy
G. Willis
|
|
|
Vice
President
|
|
|
U.S.
Trust, Bank of America
|
|
|
Private
Wealth Management
|
|
|
Trustee
|