Subject: Comment on SR-NSCC-2022-003
From: Dominik Gaertig
Affiliation:

Apr. 20, 2022



To whom it May Concern:

As a retail investor I am highly disturbed by the
content of this new proposed rule that would
effectively allow for FTDs (Failure To Deliver) to
continue and worsen, which can be abused by
market makers and used in conjunction with illegal
naked shorting and abusive dark pool trade routing
to control and suppress the price on security trading.
This does not in any way benefit investors and in fact could be extremely harmful, which is anathema to the entire purpose of the SECs very existence.
Please do not allow SFTs (Security Financial
Transactions) proposed in this rule, to create new
and potentially endless layers of can-kicking to be
allowed, whereby the very real financial obligations of the FTDs get passed along instead of settled. I can see how it provides stability in the moment, but it
also allows for abusive practices where market
makers are never accountable for their failings. This
is not acceptable and creates an opportunity to harm
retail investors and it violates our rights for a free and
fair market. The manipulation needs to come to an
end.
Please remove this proposed rule and furthermore
please do not try to propose something similar aga
in the future, as iterations of this have been rejecteu
in the past and continue to be rejected by educated
investors every time they resurface. What a colossal
waste of time, mine and yours, to continue to have to
repeat this song and dance over and over again.

Please remove this proposed rule and furthermore
please do not try to propose something similar again
in the future, as iterations of this have been rejected
in the past and continue to be rejected by educated
investors every time they resurface. What a colossal
waste of time, mine and yours, to continue to have to
repeat this song and dance over and over again.
The mission of the SEC is to look out for the well-
being of investors such as myself, so I would propose
that you direct your attention to doing so. This would
best be accomplished by banning Payment For Order
Flow which is inherently harmful to retail investors
and which unfairly benefits Market Makers and
brokers who do not have investors best interest in
mind. Another worthy target for your attention would
be to shut down the abusive use of dark pools by
market makers such as Citadel which has been used
to undermine the true value of securities traded by
retail investors and to suppress price discovery.
Thank you in advance for your timely attention to this
matter, and please live up to your obligations and
help the investors from predatory behavior by
financial institutions.


Sincerely,

Dominik Gaertig