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Re:
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Quigley
Corporation
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Revised
Proxy Statement on Schedule 14A filed by Ted Karkus et
al.
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Filed
April 21, 2009
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File
No. 0-21617
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1.
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We
note your response to comment one in our letter dated April 16,
2009. Please advise us as to how your notice of internet
availability complies with the requirements in Rule 14a-16. For
example, it does not appear to contain all of the information required by
Rule 14a-16(c)(1) and contains supporting statements when Rule
14a-16(c)(3) specifically states that no supporting statements be
included. Please refer to Rule 14a-16 and SEC Release No.
34-56135 in your analysis.
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2.
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We
note your response to comment six in our letter dated April 16,
2009. Please revise your disclosure to include the support for
your statements.
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3.
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We
note that the participants collectively own over 10% of the shares
outstanding. Please revise to include the information required
by Item 405 of Regulation S-K and corresponding Item 7(b) of Schedule
14A.
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4.
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We
note your statement that one or more Shareholder Nominees qualify as an
audit committee financial expert. Please revise to identify
these individuals.
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5.
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We
note your response to comment 12 in our letter dated April 16,
2009. Please revise to clearly state the effect of broker
non-votes and abstentions on the quorum
requirement.
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