From: Barry D. Estell |
Please reject the NASD's request for "Accelerated Approval" of Rule Filing SR-NASD-2003-158 and publish the NASD's proposal for public comment. It would be entirely improper for the SEC to once again allow the NASD to adopt rules intended to further disadvantage public customers without allowing public comment on the changes that the SIA has inserted. Barry D. Estell |