S7-19-03From: David Griffis [DGriffis@KQED.org] Sent: Monday, March 29, 2004 1:37 PM To: rule-comments@sec.gov Subject: S7-19-03 R.e. S7-19-03 I am an individual investor in several publicly traded companies and I support the proposed rule change requiring companies to include in their proxy materials security holder nominees for election as director. I believe this rule change would be a significant, important step towards increasing company accountability towards shareholders and good corporate governance thus reducing the likelihood of Enron style corporate scandals. Thank you for your consideration. Sincerely, David Griffis David Griffis Associate Director, Corporate Support KQED - FM 88.5 & TV Channel 9 415.553.2403 (ph) 415.553.2333 (fax) http://www.kqed.org/support/sponsorship/flash/radiomovie/griffis