Dec. 27, 2022
December 27, 2022 I am a retail investor writing to express my support for this proposal. I believe that modernized and enhanced execution quality reporting would better help the public compare and evaluate execution quality among different market centers and broker-dealers and thereby increase transparency of order execution quality, increase the information available to investors, and help promote competition among market centers and broker-dealers. The increased transparency provided by this proposed rule would benefit a retail investor like myself, as I would have a greater ability to compare and evaluate execution quality among different market centers. Thank you for your time.