Subject: N/A
From: THOMAS RUTHERFORD
Affiliation:

Mar. 18, 2020

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

Leveraged and inverse funds are a critical element of my investment strategy. I am fully capable of understanding these funds and risks associated with them. Making it very difficult to buy these funds will limit my ability to control my investment portfolio. Please do not remove my ability to utilize these funds. 

Regards, 
THOMAS RUTHERFORD