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Rick Cossey Comment On Regulatory Notice 22-08

It always seems that FINRA's only job is to help large institutions to keep their advantages over retail traders. You already make it disadvantages to trade options and futures. Now you want to add leveraged ETFs to that list. How about focusing on things that are really a problem such as the advantages given to market makers and dealers through paid order flow. It is clear that FINRA does not care about retail traders and investors through there lack of actions.

Mark Prisbrey Comment On Regulatory Notice 22-08

Asset classes of any kind should not be restricted to average investors, giving the wealthy advantages and regular people a disadvantage.

Regulators should not tell the public what they can and cannot invest in for any public investment.

Leveraged & inverse funds are critical components in my personal investment strategies. I use many of them in my retirement and non-retirement accounts as part of both timed and non-timed, index building, asset allocation, alpha generation, beta moderation and hedging/risk reduction strategies.

Anonymous Comment On Regulatory Notice 22-08

The existing investment instruction and terms are sufficient. People at legel age are able to consider rationally and independently if they can bear the risks. It is unreasonable to ask people do tests especially there are a large group of people already has experience of investing leveraged and inverse ETF products, not to mention how unfair it is to restrain investment activities by how much assets they have. These restraintions would create no good but annoying investors and waste their time.