From: Adam Borden
Sent: July 17, 2007
To: rule-comments@sec.gov
Subject: File No. 3-11701


I was an AIM shareholder until 2003 and have been actively following the SEC settlement. As I sold my funds held in a brokerage account I no longer have with a broker who is no longer at that firm, I reviewed the distribution plan to learn how I would be contacted. The distribution plan does not contemplate how shareholders might be able to petition that they were affected by the class if AIM does not appear to have any way to get in touch with them, especially if the omnibus account-holder accounts have been closed for years.

Sincerely,

Adam Borden