Subject: Public Comment Supporting S7-10-22
From: Tigmera, LLC
Affiliation:

Jun. 17, 2022

 




My name is Sandor Straus and I’m from Lafayette, CA. I am a retired hedge fund manager and am now an individual investor running my own Family Office, Tigmera, LLC. I of course am very concerned with climate change and its long term risk for companies which I invest in. I’m writing today to express my strong support for the Securities and Exchange Commission’s (SEC) proposed rule to require publicly-traded companies to disclose climate-related financial risk information (S7-10-22). The risks to companies posed by climate change are well documented by numerous government studies and impact companies’ financials, making them essential information for investors, the public, and other market participants to be aware of when making investment-related decisions. 

In order to ensure that investors and the public have the best information possible, the SEC must make this proposal as strong and legally durable as possible and move quickly to finalize, implement, and enforce these disclosure requirements. 

By requiring that public companies disclose climate-related information in a reliable, consistent, and comparable manner, the SEC ensures that investors have access to standardized information about companies’ carbon pollution and climate-related risks. The rule will also put the U.S. closer to other countries already requiring these types of climate-related disclosures from companies or will shortly. 

Wall Street and Main Street investors and the general public need to be aware of how companies are impacted by the financial risks of climate change when making decisions about their portfolios and consumer habits. This proposal is well aligned with the SEC’s mission and within its authority to protect investors, ensure fair, orderly, and efficient markets, and facilitate capital formation, and I thank the SEC for issuing 

Sandor Straus, Managing Member 
Tigmera, LLC 
sandor@tigmera.com