First Eagle Credit Opportunities Fund
1345 Avenue of the Americas
New York, NY 10105
June 1, 2026
VIA EDGAR
Ms. Emily Rowland
U.S. Securities and Exchange Commission
Division of Investment Management
100 F Street, N.E.
Washington, D.C. 20549
| Re: | First Eagle Credit Opportunities Fund (CIK No. 0001818416) Application for Withdrawal of Post-Effective Amendment No. 16 to First Eagle Credit Opportunities Fund’s Registration Statement on Form N-2, filed under submission type POS 8C on May 20, 2026 (Registration Nos. 811-23592, 333-239995) |
Dear Ms. Rowland:
Pursuant to Rule 477 under the Securities Act of 1933, as amended (the “Securities Act”), First Eagle Credit Opportunities Fund (the “Registrant”) hereby applies for an order granting withdrawal of Post-Effective Amendment No. 16 filed under EDGAR submission type POS 8C on May 20, 2026 (Acc. No. 0000930413-26-001678) (the “Amendment”) to the Registrant’s registration statement on Form N-2 (“Registration Statement”).
The Registrant respectfully requests this application be granted because the Amendment was inadvertently submitted as a POS 8C filing (the “POS 8C filing”). The Amendment was filed solely for the purpose of filing additional exhibits to the Registration Statement, has not been declared effective by the Commission, and no securities were sold in connection with the Amendment. The Registrant refiled the Amendment on June 1, 2026 under submission type POS EX. Accordingly, the Registrant requests that an order granting the withdrawal of the POS 8C filing be issued as of the date hereof or as soon thereafter as possible.
If you have any questions regarding this application for withdrawal, please contact Nathan J. Greene of Sidley Austin LLP, counsel to the Registrant, at (212) 839-8673.
Sincerely,
/s/ Sheelyn Michael
Sheelyn Michael
Secretary and Deputy General Counsel to First Eagle Credit Opportunities Fund