Subject: N/A
From: Mark Anderson
Affiliation:

Mar. 17, 2020


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

Leveraged and inverse funds have been a core portion of my investment portfolio for many years. This proposed rule has the potential of removing an important tool that should be available to all investors. I want to ensure that long standing free market investment tools should not be limited by government imposed limitations to my freedom of choice. 

Regards, 
Mark Anderson