Subject: S7-17-22: WebForm Comments from Thomas Stanchak
From: Thomas Stanchak
Affiliation: Director of Sustainability

Jun. 15, 2022

Two potential fixes could be applied: separate the climate-related disclosure from the Form 10-K and set the due date six months post fiscal year close or set the data reporting period for climate-disclosure data included in the Form 10-K to be at least six months before the end of the fiscal year - or make it simpler and just have the filer report on the prior physical years ESG data.