Subject: SR-OCC-2024-001 34-99393
From: Jack Coles
Affiliation:

Feb. 8, 2024

Thank you for the opportunity to comment 
on SR-OCC-2024-001 34-99393 entitled 
'Proposed Rule Change by The Options Clearing 
Corporation Concerning lt's Process for 
Adjusting Certain Parameters in Its Proprietary 
System for Calculating Margin Requirements 
During Periods When the Products It Clears and 
the Markets It Serves Experience High Volatility' 
I have several concerns about the OCC rule 
proposal, HIGHLY OPPOSE THIS PROPOSAL, 
AND I DO NOT SUPPORT IT'S APPROVAL!. I'm 
concerned about the lack of transparency in 
our financial system as evidenced by this rule 
proposal, amongst others. 
The details of this proposal along with 
supporting information are significantly 
redacted which prevents public review making 
it impossible for the public to meaningfully 
review and comment on this proposal, and this 
proposal should be rejected on that basis alone. 
These rules create an unfair marketplace for 
market participants, especially retail investors, 
who are forced to face the consequences of 
long-tail risks while the OCC repeatedly waives 
margin calls for Clearing Members by repeatedly 
reducing their margin requirements. 
For this reason, this rule proposal should be 
rejected and Clearing Members should be 

the Markets it serves Experience high Volatility. 


I have several concerns about the OCC rule 
proposal, HIGHLY OPPOSE THIS PROPOSAL 
AND DO NOT SUPPORT IT'S APPROVAL!. I'm 
concerned about the lack of transparency in 
our financial system as evidenced by this rule 
proposal, amongst others 
The details of this proposal along with 
supporting information are significantly 
redacted which prevents public review making 
it impossible for the public to meaningfully 
review and comment on this proposal, and this 
proposal should be rejected on that basis alone. 
These rules create an unfair marketplace for 
market participants, especially retail investors, 
who are forced to face the consequences of 
long-tail risks while the OCC repeatedly waives 
margin calls for Clearing Members by repeatedly 
reducing their margin requirements 
For this reason, this rule proposal should be 
rejected and Clearing Members should be 
subject to strictly defined margin requirements 
as other investors are. 
Sincerely, 


A concerned retail investor 


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