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February 24, 1994
Securities and Exchange Commission
450 Fifth Street, N.W.
Attn: Filing Desk, Stop 1-4
Washington, D.C. 20549-1004
RE: Rule 24f-2 Notice for
IDS Life Variable Account for Shearson Lehman
SEC File No. 33-5210/811-4652
Gentlemen:
[i] In accordance with the provisions of Rule 24f-2, IDS Life
Variable Account for Shearson Lehman hereby files its Rule 24f-2
Notice for the fiscal year ended December 31, 1993 ("Fiscal
Year").
[ii] Amount of securities registered other
than under 24f-2 which were unsold at
the beginning of the fiscal year $0
[iii] Amount of securities registered during
the fiscal year other than under 24f-2** $0
[iv] Amount of securities sold during the
fiscal year $(1,297,000)*
[v] Amount of securities sold pursuant to 24f-2 $(1,297,000)
[vi] Fee $(1,297,000) X 0.0003448 equals $0
* Sales of $2,430,000 minus redemptions of $3,727,000
Enclosed please find an opinion of counsel.
If there are any questions, please contact the undersigned.
Very truly yours,
IDS LIFE VARIABLE ACCOUNT FOR SHEARSON LEHMAN
Mary Ellyn Minenko
Counsel
(612) 671-3678
MEM/HB/smb
Enclosure<PAGE>
EXHIBIT INDEX
(b) (10) OPINION OF COUNSEL
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February 24, 1994
IDS Life Insurance Company
IDS Tower 10
Minneapolis, MN 55440-0010
Gentlemen:
Reference is made to the Registration Statement of IDS Life Variable
Account for Shearson Lehman on Form S-6 (File No. 33-5210) under the
Securities Act of 1933 which became effective October 10, 1986
registering an indefinite amount of securities pursuant to Rule 24f-2
adopted under The Investment Company Act of 1940. In connection with
the Rule 24f-2 Notice for the fiscal year ended December 31, 1993, I
have made such examination of matter of fact and law as I have deemed
appropriate, and am of the opinion that:
1) During the entire period covered by the Rule 24f-2 Notice, IDS
Life Variable Account for Shearson Lehman was a validly
created and existing separate account of IDS Life Insurance
Company duly authorized, as a unit investment trust, to issue
and sell the securities registered, and
2) The securities issued, being variable life insurance policies,
were legally issued and non-assessable and require no further
payment by the purchaser.
I hereby consent that the foregoing opinion may be used in connection
with the Rule 24f-2 Notice.
Sincerely,
Mary Ellyn Minenko
Attorney at Law
(612) 671-3678
MEM/HB/smb
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