From: T. Michael Kennedy, P.C.
Sent: May 15, 2006
To: rule-comments@sec.gov
Subject: File No. SR-NASD-2003-158


In what is already a ridiculously industry biased system of limited accountability, the SEC should publish the NASD's proposal for public comment.

How could the SEC even consider a request by the NASD not to allow comments from those who will be most affected?

T. Michael,

Trial Lawyers College Class of '05

T. Michael Kennedy, P.C.
1431 Greenway Drive
Suite 800
Irving, TX 75038

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