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September 24, 2021 | | Mayer Brown LLP 71 South Wacker Drive Chicago, IL 60606 United States of America T: +1 312 782 0600 F: +1 312 701 7711 mayerbrown.com |
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U.S. Securities and Exchange Commission Division of Corporation Finance 100 F Street N.E. Washington, D.C. 20549 Attention: Jessica Livingston and Erin Purnell |
Re: | Canadian Imperial Bank of Commerce |
Amendment No. 1 to
Registration Statement on Form F-3
Filed September 17, 2021
File No. 333-259240
Dear Ms. Livingston and Ms. Purnell:
On behalf of Canadian Imperial Bank of Commerce (the “CIBC”), and in response to the letter (the “Comment Letter”) dated September 23, 2021 with respect to the above-captioned Registration Statement on Form F-3, as amended (the “Registration Statement”) from the staff of the Securities and Exchange Commission (the “Staff”) to CIBC, CIBC is submitting herewith, electronically via EDGAR, Amendment No. 2 to the Registration Statement (the “Amended Registration Statement”) on Form F-3. For your convenience, we are delivering to you via email a copy of this letter, together with a copy of Amendment No. 2 that has been marked to show the changes from the amended Registration Statement as filed on September 17, 2021, as well as a clean copy of Amendment No. 2 and the exhibits filed therewith.
CIBC’s responses to the Comment Letter are set forth below. For ease of reference, the Staff’s comments have been repeated below in bold. Unless otherwise noted, “we,” “us” and similar terms refer to CIBC.
Amendment No. 1 to Form F-3
Material Income Tax Consequences, page 24
1. We note your disclosure that this summary is of a general nature only and is not intended to be, nor should it be construed to be, legal or tax advice to any particular holder. Investors are entitled to rely on the opinion as expressed. Please remove this limitation on reliance. Refer to Section III.D.1 of Staff Legal Bulletin No. 19.