gkiphii_corresp
|
T.
Rhys James
Direct Dial:
804.823.4041
Direct Fax: 804.823.4099
rjames@kv-legal.com
|
February 23, 2021
VIA EDGAR
Jim
Lopez
Division
of Corporation Finance
Office
of Real Estate and Construction
United
States Securities and Exchange Commission
100 F Street, N.E.
Washington, DC 20549
Re:
GK Investment Property Holdings II, LLC
Form 1-A Post Qualification Amendment
Filed January 28, 2021
File No. 024-11074
Dear Mr. Lopez:
This letter is submitted on behalf of GK
Investment Property Holdings II, LLC, a Delaware limited liability
company (the “Issuer”),
in response to comments received from the staff of the Division of
Corporation Finance (the “Staff”)
of the United States Securities and Exchange Commission (the
“Commission”)
in a letter (the “Comment
Letter”) dated February
19, 2021 with respect to the Issuer’s Form 1-A Post
Qualification Amendment (File No. 024-11074) filed with the
Commission on January 28, 2021 (the “Offering
Statement”). This letter
is being submitted contemporaneously with the filing of the first
amendment of the Offering Statement (the “First
Amendment”) containing
changes made in response to the Staff’s comments and for the
purpose of updating and revising certain information in the
Offering Statement. Certain capitalized terms set forth in this
letter are used as defined in the first amendment to the Offering
Statement.
For
ease of reference, each Staff comment contained in the Comment
Letter is reprinted below in bold, numbered to correspond with the
paragraph numbers assigned in the Comment Letter, and is followed
by the corresponding response of the Issuer.
Certain Relationships and Related Transactions, page
59
1.
Please
revise to address the terms of the co-investment agreements with
the GK
Revocable
Trust for the purchase of the Fresh Thyme Farmers
Market.
Issuer’s Response: In
response to the Staff’s comment, please see the
Issuer’s revised disclosure on page 59 of the First
Amendment.
1401 E. Cary St. | Richmond, VA 23219 | Phone:
804.823.4000
P.O. Box 2470 | Richmond, VA 23218-2470
www.kv-legal.com
Jim
Lopez
U.S.
Securities and Exchange Commission
February
23, 2021
Page 2 of 2
Exhibit Index, page 71
2.
Please
file the lease with the tenant of your sole property.
Issuer’s Response: In
response to the Staff’s comment, please see Exhibits 6(b),
6(c) and 6(d) to the First Amendment.
General
3.
Please
revise Item 6 of Part I to take into account the securities sold in
the Regulation A offering.
Issuer’s Response: In
response to the Staff’s comment, please see the
Issuer’s revised disclosure in Item 6 of Part I of the First
Amendment.
The
Issuer respectfully believes that the information contained herein
is responsive to the Comments. Please feel free to contact me at
the above number for any questions related to this letter. We
appreciate the Staff’s timely response.
Very
truly yours,
/s/ Thomas Rhys James
Thomas
Rhys James
cc:
Joe
Cook (via electronic mail)
Robert
R. Kaplan, Jr., Esq. (via electronic mail)
C.
Clark Warthen, Esq. (via electronic mail)