Apr. 17, 2023
To Whom This May Concern, To keep this comment short, sweet, and to-the-point: The current Chairman of the SEC, Gary Gensler, has acted in support of household + retail investors since he took his position, so this should be a no-brainer that additional forms & filings being included on the publicly viewable SRO website, would only help to increase those same investors overall knowledge of total derivative exposure. Common-sense; yet again, here we are having to explain to the SEC that these types of information would be beneficial & help to level the playing ground for all household investors across the country. Additional data access for more household investors is a fantastic change, considering that our Capital Markets currently lean towards catering to the 'institutional investor'. Although there are a number of different items 'technically' reported by SRO, archaic reporting methods & bizarre timing-policies make it significantly less likely that this data can be scrutinized by household investors to noticeably effect overall trading knowledge & trade decisions. Lastly, if this rule was adopted, electronic reporting & submission should be less complex & drastically cheaper for to-be compliant companies to perform, which seems to be a win-win. As most of us have learned by now, the only firms & individuals that would NOT want to see this rule pass, would be those who are currently skating the law and not following all of our market rules precisely. As stated above, this rule change is once again, common-sense. Please make the necessary changes to provide household investors the information AND tools needed to make informed trading decisions, in a timely manner. Regards, Michael