From: Brad Bartells [bbartells@redcent.com] Sent: Thursday, April 25, 2002 2:50 PM To: rule-comments@sec.gov Subject: File No. S7-08-02 From: Bradley J. Bartells Regarding the SEC's proposed rule changes for accelerating the filing period for quarterly and year-end information: To sum it up - this is a bad idea! This proposed rule change will have the opposite effect of what the SEC is trying to achieve. Reducing the filing period for forms 10-Q and 10-K will only cause the financial information to be less reliable. By reducing the filing period, publicly held companies and their CPA's will feel rushed to complete their year-end audits and quarterly filings. This will only cause more errors to be made, or overlooked and not corrected. It appears that the SEC is attempting to make the financial data more reliable for investors. This proposal will have the opposite effect. A company that has inaccurate financial data on March 31 is going to have the same inaccurate data on March 1. Reducing the filing period will not somehow magically transform the financial data into accurate numbers, it will only reduce the time it takes to release the inaccurate data to investors. If the intentions of the SEC are to have more accurate financial data available to investors and the public, I suggest that the SEC work with the AICPA and FASB to come up with ways to make outside auditors 1) more responsible for the financial statements that they audit and 2) create restrictions on non-audit services provided by CPA firms. These non-audit services create independence issues for the audit firms. I hope the SEC reconsiders its proposed reduction in filing periods for forms 10-Q and 10-K , and it can see that this proposal is not going to accomplish what the SEC is trying to accomplish. Bradley J. Bartells, CPA Senior Accountant/Finance Centennial First Financial Services Redlands Centennial Bank 909-798-3611 bbartells@redcent.com www.redcent.com