Subject: File No. SR-NYSE-2024-35
From: Craig Skerpac

I strongly request that the SEC does not eliminate my ability to influence administration of closed end funds and and decline the Proposed Rule Change Amending Section 302.00 of the NYSE Listed Company Manual to Exempt Closed-End Funds Registered Under the Investment Company Act of 1940 From the Requirement to Hold Annual Shareholder Meetings. Thank you.