From: John & Kathi Meo, CFP
Sent: July 11, 2006
To: rule-comments@sec.gov
Subject: File No. SR-NASD-2004-183


Dear Ms. Morris,
I am writing to you today to ask you to carefully consider the unintended consequences of the above referenced proposed rule. At this point such things as suitability requirements that are more onerous then those currently required for securities futures appears to be out of line with the requirements that are currently in place for other investment products.
Please reconsider many of the aspects in the language used in this proposal for both the good of the client as well as our industry.
Thank you for taking your time and consideration.

Sincerely,
John & Kathi Meo, CFP
Registered Principal
LPL Financial Services
Member NASD/SIPC
(732) 833-4575
Fax (732) 833-6575
john.meo@lpl.com
www.lpl.com/jackson