Upon closer examination of the SEC's recent release titled "Reporting Requirements Related to Liquid Net Asset Value ('LNAV') Funds" (Release No. IA-6240; File No. S7-04-23), various issues arise which necessitate further deliberation and consideration. While the proposed rule seeks to establish new guidelines related to reporting requirements for LNAV funds, it also introduces complexities that warrant careful reflection. As stakeholders, we strongly recommend extending the public comment period afforded by the SEC, given the extensive scope and potential impact of these proposals. The 60-day timeline designated by the commission seems insufficient given the numerous technical, operational, and compliance ramifications that accompany these modifications. Our organization recognizes the importance of offering insightful feedback during the consultation phase, particularly when substantial shifts in policy direction are being considered. Therefore, we humbly implore the SEC to grant us additional time to assess the full extent of these revisions thoroughly and constructively contribute to the dialogue surrounding them. By doing so, we can ensure that all relevant perspectives are taken into account throughout the decision-making process, thereby contributing to a more informed and effective outcome. We look forward to working collaboratively with the SEC towards achieving positive outcomes while addressing any pertinent challenges presented by these proposed amendments. Thank you for considering our request.