Subject: File No. S7-29-22; Release No. 34-96493• Disclosure of Order Execution Information
From: Ryan McCormack
Affiliation:

Mar. 31, 2023

As a retail investor I fully support this rule.  
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, which is essential for ensuring a level playing field for all Investors. 
Alternative Trading Systems should operate in a manner that is consistent with the broader regulatory structure of the securities markets, which would benefit individual investors by promoting fair and transparent trading practices.