Oct. 31, 2022
The proposed rule is intended to, among other things, identify circumstances when a market participant has a large, concentrated position in a security-based swap on a single issuer. I believe that these positions exceeding $150 million should be reported no later than the end of the first business day. And the filings should be made public immediately. And this should be applied internationally. Sincerely, Peyman Hesamikojidi