The comment letter focused on the following items:
- Keeping certain end of day reporting exceptions intact for list offering transactions and RTRS takedown transactions
- Warned that the dissemination of too many new data elements may confuse the investor
- Cautioned against the potential to undermine trading strategies
- Re-iterated a previous concern that shortening the 15 minute reporting cycle could be overly burdensome.
You can find the final letter [here.]
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