Law Offices
Stradley Ronon Stevens & Young, LLP
2600 One Commerce Square
Philadelphia, Pennsylvania 19103-7098
(215) 564-8000
Direct Dial: (215) 564-8198
August 3, 2000
FILED VIA EDGAR
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Filing Desk
U.S. Securities and Exchange Commission
450 Fifth Street, N.W.
Washington, D.C. 20549
Re: Buffalo Balanced Fund, Inc. - Post-Effective Amendment Nos. 8/10
SEC File Nos. 811-8364, 33-75476
Buffalo Equity Fund, Inc. - Post-Effective Amendment Nos. 8/10
SEC File Nos. 811-8900, 33-87346
Buffalo High Yield Fund, Inc. - Post-Effective Amendment Nos.
8/10
SEC File Nos. 811-8898, 33-87148
Buffalo USA Global Fund, Inc. - Post-Effective Amendment Nos.
8/10
SEC File Nos. 811-8896, 33-87146
Buffalo Small Cap Fund, Inc. - Post-Effective Amendment Nos. 3/4
SEC File Nos. 811-8509, 333-40841
Rule 497(j) filing
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Dear Sir or Madam:
Pursuant to Rule 497(j) under the Securities Act of 1933, as amended,
this letter serves as certification that the form of Prospectus and Statement
of Additional Information that would have been filed under paragraph (c) of
Rule 497 would not have differed from those contained in the Post-Effective
Amendments to the Registration Statement on Form N-1A of the Buffalo Funds
referenced above, each of which were filed with the Securities and Exchange
Commission electronically via EDGAR on July 28, 2000.
Please direct any questions or comments relating to this certification
to me at the above phone number.
Very truly yours,
/s/ Michael P. O'Hare
Michael P. O'Hare
cc: Martin A. Cramer
344843.01