Subject: RE: File No. S7-29-22; Release No. 34-96493· Disclosure of Order Execution Information
From: Marco Daeblitz
Affiliation:

Mar. 31, 2023



Hello,

The proposed changes to ATS rules and the SEC's focus on increasing
transparency in the routing of orders by brokers and wholesalers, align
with the broader goal of promoting fair and transparent trading
practices, which would ultimately benefit individual investors.

By requiring ATS to submit detailed disclosures about their operations,
establish written policies and procedures to prevent fraudulent
practices, and provide data on the execution of orders and order routing
practices, the SEC would have better oversight and could ensure
compliance with regulatory requirements. Furthermore, the proposal to
implement a variable minimum pricing increment model for both quoting
and trading of NMS stocks would promote fair pricing across trading
venues and create a level playing field for all investors, ultimately
benefiting household investors.

The estimated savings for retail investors, which range from $1.12
billion to $2.35 billion, primarily through increased competition to
supply liquidity to marketable orders, underscore the importance of
competition in regulating markets and removing barriers to competition,
such as the conflicted nature of PFOF. In addition, it is essential to
prioritize creating a competitive market structure that benefits
investors and encourages transparency.

By implementing a cap on the high commissions or fees brokers may charge
in lieu of PFOF, the SEC can further reduce conflicts of interest and
promote fair and transparent trading practices. Finally, the SEC should
continue to identify and prevent fraudulent practices that undermine the
credibility, integrity, and functionality of American markets, as such
initiatives are widely supported by household investors. Overall, the
proposed changes and initiatives by the SEC to increase transparency,
reduce conflicts of interest, and promote fair and transparent trading
practices align with the interests of household investors and are
crucial for creating a competitive market structure that benefits
investors and encourages transparency.


Therefore I support the disclosure of order execution information
proposal and appreciate the hard work at the SEC to improve the market
structure to cater for household investors.