United States securities and exchange commission logo May 12, 2020 David Gladstone President and Chief Executive Officer The Gladstone Companies, Inc. 1521 Westbranch Drive, Suite 100 McLean, VA 22102 Re: The Gladstone Companies, Inc. Draft Offering Statement on Form 1-A Submitted March 9, 2020 CIK No. 0001805586 Dear Mr. Gladstone: We have reviewed your draft offering statement and have the following comments. In some of our comments, we may ask you to provide us with information so we may better understand your disclosure. Please respond to this letter by providing the requested information and either submitting an amended draft offering statement or publicly filing your offering statement on EDGAR. Please refer to Rule 252(d) regarding the public filing requirements for non-public submissions, amendments and correspondence. If you do not believe our comments apply to your facts and circumstances or do not believe an amendment is appropriate, please tell us why in your response. After reviewing your amended draft offering statement or filed offering statement and the information you provide in response to these comments, we may have additional comments. Draft Offering Statement Submitted March 9, 2020 General 1. Please revise your future amendments to also provide interim financial statements, refer to Form 1-A Part F/S (b)(3) through (5). 2. We note you include a header on your offering statement requesting confidential treatment pursuant to Rule 83. Please tell us why you believe this rule applies when Rule 252(d) of Regulation A provides an avenue for non-public staff review of draft offering statements. Offering Circular Summary, page 1 3. Noting the current economic downturn, revise to add a Recent Development section, as David Gladstone FirstName LastNameDavid Inc. The Gladstone Companies, Gladstone Comapany NameThe Gladstone Companies, Inc. May 12, 2020 Page 2 May 12, 2020 Page 2 FirstName LastName applicable, and briefly describe any material adverse changes in the Company's Results of Operation and/or Financial Condition as of the most recent practicable date. In addition, revise to update the disclosures through at least March 31, 2020, the fee arrangements on page 1, AUM on page 2, and the 1, 3 and 5 year performance percentages on page 5. The Offering, page 8 4. Please expand your disclosure to discuss the mechanics of the order process. Additionally, disclose whether subscriptions are revocable and, if so, under what circumstances. Please make conforming changes to the Plan of Distribution. Risk Factors Risks Related to Our Business Unfavorable market conditions could adversely affect our business in many ways, including by reducing the fees revenue and distributions..., page 10 5. We note that your business may be affected by conditions in the global financial markets that are outside of your control, such as pandemics. To the extent material, please expand your disclosure to discuss the impact current economic and market conditions resulting from the novel coronavirus have had on your business operations and results. Additionally, please describe material risks the virus and related economic and social conditions pose to your specific funds, whether Existing Gladstone Funds or Future Gladstone Funds. Use of Proceeds, page 30 6. Please revise to disclose the approximate amount of proceeds intended to be used for each purpose you identify. Additionally, please provide tabular disclosure describing how you intend to allocate the offering proceeds under scenarios assuming you sell less than one hundred percent of the offering. In this regard, we note your disclosure that your Board of Directors, in its sole discretion, may determine that the proceeds of this offering are insufficient for the intended use of proceeds. Please refer to Item 6 of Form 1-A and instruction 3, thereto, for guidance. Business Overview, page 48 7. We note your discussion here and elsewhere in your filing related to Existing Gladstone Fund focus areas, incentive fees (e.g., amounts generated since inception), and the inclusion of items such as total return and yields. Please expand your disclosures here or elsewhere in the document, as appropriate, to provide additional quantitative and/or qualitative information regarding underlying Existing Gladstone Fund investments, with a particular focus on specific geographic markets, the level of industry concentrations, and related trends for each of the Existing Gladstone Funds. Consider providing such information in a comparative tabular format. David Gladstone The Gladstone Companies, Inc. May 12, 2020 Page 3 You may contact Cara Lubit at 202-551-5909 or Hugh West at 202-551-3872 if you have questions regarding comments on the financial statements and related matters. Please contact David Gessert at 202-551-2326 or Michael Clampitt at 202-551-3434 with any other questions. Sincerely, FirstName LastNameDavid Gladstone Division of Corporation Finance Comapany NameThe Gladstone Companies, Inc. Office of Finance May 12, 2020 Page 3 cc: Erin M. Lett FirstName LastName