From: Jack Park Sent: Wednesday, March 17, 2004 9:58 AM Subject: S7-06-04: Specifically, written disclosures should not be required for customer telephone requests to add new money to a mutual fund that he/she is already invested in. I did not see in the proposed rules that this exemption is made. Generally, requiring these written disclosures add no value for our customers and will be unpopular to them once implemented. This will slow their speed of business, will add costs, and will invite pressure from customers for us to circumvent the rules.