Subject: N/A
From: Alexander Durbin
Affiliation:

Mar. 18, 2020

Comment on SEC Proposed Rule #S7-24-15: 

Completely unnecessary. The use of leveraged and inverse funds is limited in scope and the risks associated are well-known. Making the space more difficult and/or impossible to access for investors who are aware of the risks involved in order to protect a limited few seems to be outside the scope of what the SEC should be focused on. 

Regards, 
Alexander Durbin