Subject: File No. S7-24-15
From: Thomas Mishler

October 14, 2020

From this personal Investor's standpoint, SEC involvement should be limited to ensuring that educational information is provided and made available (via Prospectus) on any Inverse or Leveraged investment vehicle. Beyond that, any potential availability reduction, additional qualification or restriction of these investment vehicles is unwarranted and should be out of scope for a regulatory agency. Freedom of Choice for the Individual Investor should be MAXIMIZED and not restricted in any way in support of a Free Market and the investors' pursuit of their independently determined and managed investment goals.