IMC Global Inc.
100 South Saunders Road
Lake Forest, Illinois 60045-2561
847.739.1200

July 19, 2002

Jonathon G. Katz
Secretary, U.S. Securities and Exchange Commission
File No. S7-16-02
450 Fifth Street, NW
Washington, DC 20549-0609

Dear Jonathon:

You have requested comments on the Proposed Rule: Disclosure in Management's Discussion and Analysis about the Application of Critical Accounting Policies (Proposed Rule). At IMC Global Inc. (IMC), the Proposed Rule will have a significant impact on the preparation of IMC's Form 10-Ks and 10-Qs as well as other SEC filings. We have structured our response to address the Proposed Rule's questions that are most applicable to IMC's SEC reporting.

B. Scope of the Proposals

The following are responses to the questions set forth to solicit comment with regard to broadening the scope of the Proposed Rule to achieve a more expansive objective.

C. Proposed Disclosure about Critical Accounting Estimates

1. Accounting estimates covered under the proposals

The following are responses to the questions set forth to solicit comment with regard to the proposed definition of critical accounting estimates.

4a. Quantitative disclosures to demonstrate sensitivity

The following are responses to the questions set forth to solicit comment with regard to the proposed identification and analysis of changes of critical accounting estimates.

4b. Quantitative and qualitative disclosures concerning past changes in the estimate

The following are responses to the questions set forth to solicit comment with regard to the proposed disclosure of past material changes in critical accounting estimates.

5. Senior management's discussions with the audit committee

The following are responses to the questions set forth to solicit comment with regard to the proposed disclosure about discussion between senior management and the audit committee regarding the development, selection and disclosure of critical accounting estimates.

6. Disclosure relating to segments

The following are responses to the questions set forth to solicit comment with regard to the proposed disclosure regarding identification of the segments affected and the proposed additional disclosure of the critical accounting estimates on a segment basis.

E. Auditor Examination of MD&A Disclosure Relating to Critical Accounting Estimates

The following are responses to the questions set forth to solicit comment with regard to the proposed independent auditor examinations of the proposed MD&A disclosure regarding critical accounting estimates.

F. Quarterly Updates

The following are responses to the questions set forth to solicit comment with regard to the proposed quarterly updating requirements for U.S. companies.

G. Proposed Disclosure about Initial Adoption of Accounting Policies

The following are responses to the questions set forth to solicit comment with regard to the proposed disclosures related to initial adoption of accounting policies.

H. Disclosure Presentation

The following are responses to the questions set forth to solicit comment with regard to the proposed disclosure presentation.

Conclusion

IMC believes that disclosures in SEC filings should be made to provide a clear picture of the company to any investor. Although IMC is not opposed to all of the new proposed requirements, the problem is the continuing proliferation of more disclosures over the past few years. This is now coupled with the SEC's pending decision to shorten the annual and quarterly reporting deadlines.

IMC's recommendation is that the SEC and FASB need to form a joint task force to address the issues regarding public disclosure and determine an overall strategy for the best presentation. This will help reduce the issuance of stop-gap disclosure requirements, which constantly change, as well as eliminate the needless duplication of information between MD&A and the notes to the financial statements.

We appreciate your consideration.

Very truly yours,

/s/ Robert M. Qualls
Robert M. Qualls
Vice President and Controller