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                                                          August 2, 2018


Martin A. Kropelnicki
Chief Executive Officer
California Water Service Group
1720 North First Street
San Jose, CA, 95112

       Re:    SJW Group
              DFAN14A filed July 27, 2018
              Filed by California Water Service Group
              File No. 001-08966

Dear Mr. Kropelnicki:

       We have the following comment on the filing above:

   1. The DFAN14A listed above includes a transcript of your Q2 2018 earnings
call on July
      26, 2018. On that call, you made the following statement regarding
California Water's
      ability to complete its tender offer for SJW: "[W]e cannot ...complete
the tender offer
      without CPUC approval and we need SJW's collaboration in order to do
that." This
      statement appears to contradict the disclosure in your amended tender
offer materials and
      in your response letter (response to comment 1) to us dated June 21,
2018. Responding
      to comment 1 in our June 12, 2018 comment letter, on June 21, 2018 you
revised your
      offer materials to state: "If SJW does not cooperate [in the CPUC
filing], California
      Water would seek permission to file the application without SJW's
signature..." The
      response and revisions to your tender offer materials give the impression
that you could
      obtain CPUC approval without SJW's cooperation; your statements on the
July 26, 2018
      earnings call indicate the opposite. Please promptly amend your tender
offer materials to
      clarify this inconsistency and tell us how you will disseminate this
important information
      regarding your ability to consummate your hostile tender offer for SJW
Group (other than
      by an EDGAR filing alone). Your revised disclosure should explain what
has changed
      since June 21, 2018, such that you no longer believe you can obtain CPUC
approval
      without SJW's cooperation, as this may be an important element of the
regulatory
      approval process that may help SJW Group shareholders gauge the potential
for the
      success of your offer.
 Martin A. Kropelnicki
California Water Service Group
August 2, 2018
Page 2

       Please contact Katherine Bagley, Staff Attorney, at (202) 551-2545, Mara
Ransom,
Assistant Director, Office of Consumer Products, at (202) 551-3720, or me at
(202) 551- 3263
with any other questions.


                                                          Sincerely,

                                                          /s/ Christina Chalk

                                                          Christina Chalk
                                                          Senior Special
Counsel
                                                          Office of Mergers and
Acquisitions




cc:    Eduardo Gallardo, Esq. (via email)
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