Goodwin Procter LLP Counsellors at Law Exchange Place Boston, MA 02109 T: 617.570.1000 F: 617.523.1231 |
September 18, 2007
VIA EDGAR AND FEDERAL EXPRESS
Mr. Jay E. Ingram
Division of Corporation Finance
Securities and Exchange Commission
100 F Street, N.E.
Washington, DC 20549
Re: | ANSYS, Inc. |
Definitive 14A
Filed April 9, 2007
File No. 0-20853
Dear Mr. Ingram:
This letter is submitted on behalf of ANSYS, Inc. (the Company) in connection with the comments of the staff of the Division of Corporation Finance (the Staff) of the Securities and Exchange Commission (the Commission) with respect to the Companys Definitive Schedule 14A filed on April 9, 2007 (file no. 0-20853) ( the Proxy Statement), as set forth in your letter dated August 21, 2007 to James E. Cashman III, President and Chief Executive Officer of the Company (the Comment Letter).
The Company hereby requests that the Staff accept a deferral of the date for the Companys response to the Comment Letter to October 22, 2007. This request is based on the need to obtain thorough review by the Companys senior management and the Compensation Committee of the Board of Directors before the Companys responses are submitted to the Staff. In particular, the Company is requesting the deferred response date because of scheduling factors that will affect the Compensation Committees review.
Mr. Ingram
September 18, 2007
Page 2
Based on your telephone conversation with my colleague, Elizabeth DiMare Fischer, I believe that the Companys proposal will be acceptable to the Staff. If there are questions or concerns about the Companys request after review of this letter, please do not hesitate to contact me by telephone at (617) 570-1633 or by facsimile at (617) 523-1231.
Very truly yours, |
/s/ Joseph L. Johnson III |
Joseph L. Johnson III, Esq. |
Goodwin Procter LLP |
cc: | Sheila S. DiNardo |
ANSYS, Inc.