Date: 03/22/2000 9:28 AM Subject: Proposed Regulation FD, File No. S7-31-99 I am writing to urge that this proposed rule be adopted. Reading Mr. Kaswell's comments (filename: kaswell1.htm) has spurred me to send this note. I won't try to answer all the points in his message but it is his first point in particular that angers me. As I read it, he is saying that the public is not smart enough and/or informed enough to handle the amount of "raw" information that would be available to investors if the proposed rule were adopted, and that investors need to have analysts to "screen" this data. I respectfully submit that this is completely illogical and has more to do with preserving his self-interests and the people on whose behalf he is lobbying. The chief objection to this argument is that it's not for Mr. Kaswell or any one else in the business of securities analysis to decide whether the public is capable of handling equal access to information about public securities. It's a patent conflict of interest for him to say such a thing. Let the public decide whether or not they are capable of evaluating the information. How can we ever become informed enough to make intelligent decisions if we don't have access to all information? He claims to be concerned about people making informed decisions, and yet objects to giving us equal access to information. That is illogical and even Orwellian. If it were true that this proposed rule would make it more difficult for the indiviual investor to sort out information, then they would have MORE need of securities analysts, thus benefitting his clients. Clearly this is not what Mr. Kaswell is concerned about. He is lobbying to preserve an inequity that benefits him and the people he represents. Please adopt this proposed rule. Than you very much for your time and your efforts on behalf of the American public. Andrew Bertoni