From: Jason Lawley [Jason.Lawley@xilinx.com] Sent: Friday, June 06, 2003 7:43 PM To: rule-comments@sec.gov Subject: S7-10-03 To Whom It May Concern: I am writing to let you know that I believe it is important for the SEC to review the rules regarding who has the power to nominate directors for proxy votes. I hope that the SEC will give due diligence to this rule that is very important to stock holders of publicly traded companies. Sincerely, Jason Lawley