Subject: File No. 3-20537
From: a grateful victim

February 17, 2022

Dear Ms. Vanessa A. Countryman and all your ladies and gentlemen of SEC,

First, just like other victims, I would like to thank you all sincerely for your meticulous and laborious efforts in protecting the victims from the fraudulent investment initiated by GTV Media Group, Inc., Saraca Media Group, Inc., and Voice of Guo Media, Inc. Your work has indeed deterred fraudsters, protected investors, and defended the integrity of the U.S. financial system.

I wholeheartedly welcome your wise decisions that the Excluded Party is not an eligible claimant, that G-Dollars and G-Coins are included in this GTV private placement. In order to assist a fair distribution process, I would like to offer my suggestions as follows:

A. The Commission is advised to continue to pursue the balance. The Commission ordered the Respondents to pay a total of $539,433,428 however, the Respondents have only paid a total of $455,497,588.37. Because Respondents continue to encourage new GTV investments and the sale of H-Pay in contempt of the U.S. judicial system, the Commission is advised to continue to pursue the balance and, if the Respondents continue to default, criminally prosecute them. The Respondents are in fact controlled by one person: � Wengui Guo or Miles Kwok, or Ho Wan Kwok, etc.

Guo is in the process of filing for bankruptcy protection in order to escape his debts. The Committee may consider getting involved as soon as possible to prevent him from transferring his properties and evading his debts.

B. The Commission is advised to distribute the investment for GTV common stock before the distribution of G-Dollars and G-Coins investments because GTV private placement occurred ahead of G-Dollars and G-Coins investments.

C. Any firm, trust, corporation, entity, and individual who make a claim should declare in detail the role they played in soliciting the investment. As for those backbones, although they may not be directly employed by the Respondents, he or she should be punished because Wengui Guo or Miles Kwok has made promises of reward and promotion to him or her, effectively committing the crime of aiding and abetting. For such aiding and abetting suspects, the release of their investments should be withheld.

To help identify these backbones, the Commission may consider accepting reports on these backbones and ultimately determining their responsibility with evidence.

Thank you again for your hard work May God bless you all and bless America.
An anonymous but grateful victim

(Attached File #1: 320537-20116304-2679455.pdf)