February 20, 2020
I am commenting on your proposed rule #S7-24-15 which severely limits investors using inverse and leveraged products. I have been using these products for over a decade and fail to see the purpose of your agency deciding for us who should be using these products. Users of these products tend to be way above average in sophistication and would lose a valuable tool to enhance returns.
So for the above reasons I ask that you do not enact rule #S7-24-15.