From: Chad M. Rogers
Sent: July 12, 2006
To: rule-comments@sec.gov
Subject: File No. SR-NASD-2004-183


Nancy M. Morris, Secretary
Securities and Exchange Commission
100 F Street, NE
Washington, DC 20549-9303
Dear Nancy,
As I am sure you are getting a lot of emails in reference to the new rule Imposing Specific Suitability, Principal review Requirements for VA's. I like the majority of producers, want the SEC and NASD to regulate and monitor the sell of variable products. I do want to get my voice of concern about this issue in front of you and the governing body. As a member of NAIFA, I strongly oppose the passing of this rule and hope that we can get the support from the SEC not to approve this new rule. Thanks you for you time.

Respectfully,
Chad Rogers