REQUEST FOR COMMENT ON MSRB RULE G-23 ON ACTIVITIES OF DEALERS ACTING AS FINANCIAL ADVISORS

1. Acacia Financial Group, Inc.: Letter from Kim M. Whelan, Co-President, and Noreen P. White, Co-President, dated August 19, 2019

2. Columbia Capital Management, LLC: Letter from Jeff White, Managing Member, dated August 19, 2019

3. First Kentucky Securities Corp.: Email from Stan Kramer dated August 13, 2019

4. KPM Financial, LLC: Letter from Jay Saunders, Director

5. Kutak Rock LLP: Letter from Joshua P. Meyer dated August 16, 2019

6. Lewis Young Robertson & Burningham, Inc.: Letter from Laura D. Lewis, Principal, dated August 7, 2019

7. National Association of Municipal Advisors: Letter from Susan Gaffney, Executive Director, dated August 19, 2019

8. Phoenix Advisors, LLC: Letter from David B. Thompson, CEO, dated August 14, 2019

9. Robert W. Doty: Letter dated August 19, 2019 

10.Securities Industry and Financial Markets Association: Letter from Leslie M. Norwood, Managing Director and Associate General Counsel, and Bernard V. Canepa, Vice-President and Assistant General Counsel, dated August 19, 2019

11. Zions Public Finance, Inc. and Zions Bank Public Finance: Letter from James Livingston, Executive Vice President, dated August 14, 2019