Subject: N/A
From: Mark Henning
Affiliation:

Mar. 17, 2020


Comment on SEC Proposed Rule #S7-24-15: 

Please do not enact the proposed regulation for leveraged and inverse funds. 

For many years these funds have enhanced my portfolio with their leverage and principal protection. 

I am capable of understanding these funds; both performance aspects and risks. I do not need third party evaluation of investors. 

Regards, 
Mark Henning