Subject: File No. S7-24-15
From: David Shore

February 19, 2020

I would like to submit my opinion that I disagree with the proposed changes to this SEC rule which may add additional barriers to trading inverse and leveraged funds. Leveraged and inverse funds can be a valuable strategy to the typical and experienced investor. Reducing barriers should the an overall goal of the SEC opposed to increasing barriers and this rule could set a poor precedent for future rules