Subject: S7-06-22: Webform Comments from Stacey Dillon
From: Stacey Dillon
Affiliation:

Jul. 31, 2023

Dear Securities and Exchange Commission, 

I am writing to provide my comments for the proposed rule S7-06-22,
which aims to modernize beneficial ownership reporting and enhance
transparency and fairness in our financial markets. Comments and
requests are as followed, 

• Protecting Shareholder Rights: By granting beneficial ownership
only when the underlying security is delivered, the proposed rule can
safeguard the interests of existing shareholders and maintains their
voting power. This protection is essential to prevent dilution and
ensure fair representation. 
• Ensuring Fair and Equal Voting: Opposing the inclusion of
derivative holders as beneficial owners maintains fair and equal
voting rights for directly registered shareholders. It prevents undue
influence from derivative holders who may not have actual ownership of
the underlying securities, ensuring that voting rights remain balanced
and representative. 
• Accurate Calculation of Ownership: The proposed examination of the
delta concept for calculating ownership ensures accurate
representation. Ownership should be based on the actual delivery of
the underlying security, avoiding potential distortions arising from
the inclusion of derivative holders. This accuracy is crucial for
maintaining market integrity. 
• Increased Transparency: The proposed rule should enhance
transparency by requiring hedge funds to disclose their short
positions and activities. This transparency makes it harder for hedge
funds to conceal their positions and provides investors with a clearer
picture of market dynamics. It ensures that relevant information is
accessible to all market participants. 
• Timely Reporting: The rule’s requirement for prompt reporting of
short position changes prevents the accumulation of hidden short
positions. Timely reporting ensures that investors have access to
up-to-date information about market activities, reducing the potential
for market manipulation. 
• Enhanced Oversight: The use of structured data, as required by the
rule, enables better monitoring of ownership data. This enhanced
oversight empowers regulatory bodies to identify potential risks and
take appropriate actions to maintain market integrity. It enhances the
effectiveness of market surveillance. 
• Deterrence against Market Manipulation: The increased transparency
and reporting requirements act as a deterrent against coordinated
actions aimed at manipulating stock prices. By discouraging market
manipulation tactics employed by certain entities, the proposed rule
promotes a more level playing field for all market participants. 
• Level Playing Field: The transparency and accountability fostered
by this rule contribute to a fairer market environment. It ensures
that all investors have access to relevant information, promoting fair
competition and preventing unfair advantages for specific market
participants. It supports the principles of equity and fairness. 

In conclusion, we should focus on the provisions for protecting
shareholder rights, ensuring fair and equal voting, accurate
calculation of ownership, increased transparency, timely reporting,
enhanced oversight, deterrence against market manipulation, and
establishment of a level playing field are vital for the integrity and
fairness of our financial markets. 

Thank you for your attention to this matter. I hope that you will
carefully consider the importance of transparency, fairness, and the
preservation of shareholder rights in our financial system.