I learned about the opportunity to comment on this proposed rule through social media and my own avid interest in true market reform. This being said, I am absolutely opposed to this proposed rule. This rule, if allowed, would create a potential for arbitrary or ad-hoc adjustments, allowing the Options Clearing Corporation (OCC) to alter the criteria whenever Clearing Members require assistance. This flexibility raises concerns about fairness, as it may create an environment where the rules can be changed based on individual circumstances, potentially favoring certain market participants or introducing an element of unpredictability. 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, just as all other investors are.