Subject: File No. SR-FINRA-2023-006
From: SEB Securities, Inc.
Affiliation: Compliance Officer

July 13, 2023

The proposed rule change does not fully explain how often a home office would need to be used to be considered a non-branch location or RSL. For example, if an associated person is primarily located in an OSJ, but works on a hybrid schedule - would that associated persons home need to be registered as a non-branch location or RSL or is this designation only for associated persons whose primary place of business is their home?