Yes..great descriptive word..." parasitic". Lol...fn' perfect. The most sensible "first" approach is amending the applicable rule. Simply make the minimal requirement @ one year and eliminate the six month hold. You clean out the Issuer and Lender ...as well as short term investor. There is no money in that though for the SEC...and the notion of liquidity will be raised probably. It's all bull shite' apparently.....as is everything...lol :)
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