Subject: s7-07-23: WebForm Comments from David Choate
From: David Choate
Affiliation:

Mar. 15, 2023

March 15, 2023

 I would like to make it clear that that there should be NO exceptions for the \"Risk-mitigating hedging activities, bona fide market making  certain liquidity commitments\"

The proposed rule exempts non-reporting companies from registering certain securities offerings under the Securities Act, if they are exclusively sold to accredited investors. However, this exemption has significant flaws

The proposed rule inadequately protects household investors by reducing the information available to them. This lack of transparency makes it harder for them to make informed investment decisions, potentially leading to losses.

The proposed rule could be exploited by manipulative hedge funds. These funds have a history of manipulative behavior in the securities market, and the exemption would offer them a new opportunity to engage in such practices. By limiting the exemption to accredited investors, hedge funds could create fake accredited investor accounts to conduct manipulative behavior outside of regulatory oversight.

Take out these added exceptions.