Subject: RE: File No. S7-32-22; Release No. 34-96496· Regulation Best Execution
From: CJ Walton
Affiliation:

Mar. 31, 2023

 


Good Evening, 


I would like to share my support for 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. Also, brokers may charge high commissions or fees in lieu of PFOF, so a cap should be implemented. 


Regards, 
CJ Walton