Domini Impact Investments LLC
180 Maiden Lane, Suite 1302
New York, NY 10038-4925
February 21, 2020
VIA EDGAR
Securities and Exchange Commission
Division of Investment Management
100 F Street, NE
Washington, D.C. 20549
Attn.: | Ms. Kimberly Browning |
Re: | Domini Investment Trust (File Nos.811-05823 and33-29180) |
Ladies and Gentlemen:
This letter responds tofollow-up comments received from Ms. Kimberly Browning of the Staff of the Securities and Exchange Commission on February 20, 2020, regarding Post-Effective Amendment No. 68 (the “Amendment”) to the Registration Statement on FormN-1A of Domini Investment Trust (the “Registrant”) filed on November 12, 2019 with respect to Domini Sustainable Solutions Fund (the “Fund”), a series of the Registrant. Following are the Staff’s comments and the Registrant’s responses thereto:
1. Comment: | The Staff noted that in response to the Staff’sfollow-up comments from February 12, 2020, the Registrant stated that certain risk disclosures would be deleted from the Principal Risks section of the Prospectus and included in Item 9 as an additional risk of the Fund. The Staff noted that such risks should be identified as additional risks of the Fund and distinguished from the principal risks of the Fund as applicable. |
Response: | The Registrant confirms that it will revise the disclosure as requested by the Staff and identify the risks as additional risks of the Fund. The Registrant also confirms that it will revise the Item 9 disclosure to distinguish between the principal risks and additional risks of the Fund as applicable. |
Please call the undersigned at212-217-1114 with any questions.
Sincerely,
/s/ Megan L. Dunphy
Megan L. Dunphy
General Counsel