Subject: File Number S7-16-18
From: Glen Anderson
Affiliation:

Jul. 18, 2018

Dear Securities and Exchange Commission,

THE AMERICAN PEOPLE VALUE -- AND DESPERATELY NEED -- WHISTLEBLOWERS.

Whistleblowers PROTECT THE PUBLIC INTEREST.

Therefore, I STRONGLY OPPOSE the proposed amendments to the rules governing the SEC whistleblower program (File Number S7-16-18). SHAME ON YOU FOR TRYING TO WEAKEN AND UNDERMINE the deterrent effect of rewarding whistleblowers.

I call your attention to the public statements issued by Commissioners Stein and Jackson and the Law360 Op-ed “The Problem With SEC's Plan To Cap Whistleblower Awards.” (https://bit.ly/2L0WTaJ) These statements outline my reasoning as to why the proposed amendments will undermine the policing of Wall Street.

Specifically, the proposed amendment to the rules capping rewards in the largest cases to the lowest percentage rate should be withdrawn. Furthermore, the SEC should ensure that every employee, regardless of position or title, can disclose corporate fraud directly to the SEC. Any requirement that compliance officers, managers or directors work internally with the company before reporting to the SEC must be struck from the rules.  Finally, rules must be implemented that require the timely payment of rewards to qualified whistleblowers. 

I request that you meet personally with whistleblower experts from the National Whistleblower Center to obtain additional information as to why the proposed amendments to the rules governing the SEC whistleblower program should not be implemented. 

Sincerely,


Mr. Glen Anderson
5015 15th Ave SE
Lacey, WA 98503
3604919093