The Digital Chamber
The Digital Chamber|9月 23, 2026 18:09
Recently, we submitted our response to @SECGov's request for comment on its proposal to rescind Rules 611 and 610(e) of Reg NMS. We commend the SEC for its efforts in acknowledging the limitations of existing U.S. public market trading infrastructure. More: https://www.sec.gov/comments/S7-2026-20/s7202620-1053339-3617566.pdf
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