From: Bob Broadfoot [rebroadfoot@comcast.net] Sent: Tuesday, March 30, 2004 9:57 AM To: rule-comments@sec.gov Subject: S7-19-03 I support the proposed rule, Security Holder Director Nominations, Section 14 of the SEC Act of 1934, which governs shareholder access to the proxy statement and ballot. I believe improving this access will go a long way toward restoring the confidence of all investors in the capital markets. Mary Jane Broadfoot 2912 Wembley Court Richardson, Texas 75082 972 231 3140