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Z-TfrNg,f,February B, 2006VIA OVERNIGHT PRIORITY DELIVERYCatherine McGuire, Esq.Chief CounselDivision of Market RegulationSecurities and Exchanqe CommissionMail Qtop 10- I450 5t'' Street, N.W.Washington, D.C .20549Re:TriNet Group, Inc.(Provision qr Professional Employment Services to Securities Broker-Dealers\Dear Ms. McGuire:On behalf of TriNet Group, Inc., a Delaware Corporation ("TriNet"), a professional employerorganrzation, we respectfully request that the Division of Market Regulation (the "Division")confirrn that it will not recommend to the Securities and Exchange Commission (the"Commission") that the Commission take any enforcement action under Section 15(a) of theSecurities Exchange Act of 1934, as amended (the "Exchange Act") in circumstances whereTriNet offers certain professional employer services as described below to securities broker-dealer firms that arc registered with the Commission pursuant to the Exchange Act.We believe that the Exchange Act and relevant staff no-a...