Subject: File No. S7-08-20
From: Jonathan Farrar
Affiliation: Director of Investments, Wesleyan University

July 14, 2020

I'm writing to comment that I do not support the proposed rule change. Increasing the reporting threshold to $3.5 billion will exclude the vast majority of investment managers who are currently reporting. The argument that this will save costs is crazy when considering the impact to transparency that changing the current regulations will have. The costs to a manager for reporting their holdings is minimal. If anything, the reporting threshold should be lowered, not increased.