Subject: Comments on SR-OCC-2024-001 34-100009
From: Anna James
Affiliation:

May 8, 2024

To Whom It May Concern, 



SEC is correct to have identified reasonable grounds for disapproval for this proposed rule change. To be honest I can't even believe you thought it was a good idea in the first place and on top of it, supporting information was left out. We have margin requirements for a reason. 




I urge you to reject the Proposed Rule Change 
Thank you, 
Anna