Subject: N/A
From: Mark Warzecha
Affiliation:

Mar. 17, 2020


Comment on SEC Proposed Rule #S7-24-15: 

I see no valid reason to treat inverse and leveraged funds any differently than other investment vehicles. I understand how they work and have been using them to meet my investment objectives for some time. I don't feel it is the governments purpose to restrict, limit my ability or require me to qualify to purchase these instruments. 

Regards, 
MARK WARZECHA