Subject: Comment Letter for File Number S7-08-22 Short Position and Short Activity Reporting by Institutional Investment Managers
From: Jimmy George
Affiliation:

Oct. 17, 2022

 


We Need Increased Transparency
Despite the pushback from industry firms who face increased compliance costs, I fully support the Commission in this rulemaking, and urge the Commission to go further with these disclosures. 
The SEC's proposed 13f-2 has some serious shortcomings as written. It does not provide the same kind of disclosure for individual firms like 13F does for long positions. It doesn't include derivatives. 
Request the Commission to include the above shortcomings and update the rule. 


Regards 
Jimmy George