November 14, 2008

Subject: File No. S7-14-08

As a CFP®, a holder of insurance licenses in Colorado, Arizona and New Mexico, and as a FPA member, I fully support the position presented by the FPA in a letter sent to Florence Harmon, Acting Secretary, U.S. Securities and Exchange Commission. It is my contention as was stated in this correspondence, that Equity Index Annuities have several Security components contained in the structure and the marketing of these products, that Rule 151A should be instituted.

Thank you for your attention,

Dale L. Anderson, CFP®

Dale L. Anderson, CFP®
DLA & Company