From: BOK56@aol.com Sent: Friday, December 12, 2003 8:55 AM To: rule-comments@sec.gov Subject: S7-19-03 Shareholder access to the proxy should be a fundamental right. Certainly, triggers must be in place to assure frivolous actions cannot find their way into the process but those triggers should not block large shareowners or groups (yes, I think group action should be allowed) of institutional investors from gaining access. Bruce Kallos