Subject: S7-01-23: WebForm Comments from Micah Chambers
From: Micah Chambers
Affiliation:

Mar. 26, 2023

March 26, 2023

 The statement \"The proposed rule would provide certain exceptions for risk-mitigating hedging activities, bona fide market-making activities, and certain commitments by a securitization participant to provide liquidity for the relevant ABS\" has me worried that bad actors will continue to abuse this practice.  As an individual investor, I disagree with providing these exceptions.