Subject: N/A
From: Richard Chung
Affiliation:

Mar. 18, 2020


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

leveraged and inverse (L&I) funds should be treated like options and other derivatives available thru brokerage. If I already understand the risks and qualify for options trading, L&I funds should not be treated differently if I already qualify to trade options and/or other derivatives