Subject: S7-32-22: WebForm Comments from Caleb C.
From: Caleb C.
Affiliation:

Mar. 18, 2023

 


  March 18, 2023

 Dear SEC,

I am writing to express my strong support for the proposed Regulation Best Execution rule. As an investor, I believe that obtaining the best possible execution of my orders is crucial to achieving my investment goals. This proposed rule will help ensure that broker-dealers prioritize the best interests of their clients by requiring them to consider a variety of factors when routing orders for execution.

I am particularly pleased with the proposed requirement for broker-dealers to establish policies and procedures to regularly review the quality of execution they provide to their clients. This will help ensure that broker-dealers are consistently striving to provide the best execution possible, and that they are held accountable for any shortcomings.

In addition, I support the proposal to require broker-dealers to disclose more information about their execution practices to their clients, including the venues to which they route orders and the quality of execution they provide. This will help investors make more informed decisions when selecting a broker-dealer and will foster greater transparency and accountability in the markets.

Overall, I believe that the proposed Regulation Best Execution rule will help level the playing field for investors and promote greater fairness and transparency in the markets. I strongly urge the SEC to adopt this rule.

Thank you for your attention to this important matter.

Sincerely,
Caleb C.