From: dragonlakegs@shaw.ca Sent: Sunday, November 10, 2002 12:06 AM To: rule-comments@sec.gov Subject: File No. S7-36-02 Dear SEC Secretary, In my recent email voicing support for the SEC rule requiring disclosure I failed to note that the proposal falls crucially short by failing to make the information useable to investors. The rule also allows fund managers to conceal their economic incentives to vote proxies against the interests of fund shareholders. I wish to speak out and insist that the SEC fix these problems in the final rule. Thank you, Greg Strebel Greg Strebel 3641 Hydraulic Road Quesnel, BC V2J 6G4