| Comment Number: | 535221-00099 |
| Received: | 6/30/2008 5:57:52 PM |
| Organization: | CONSUMER AWARENESS INSTITUTE - and JON TAYLOR & CO. - and advisor, Pyramid Scheme Alert |
| Commenter: | Jon Taylor |
| State: | UT |
| Agency: | Federal Trade Commission |
| Rule: | Business Opportunity Rule |
| Attachments: | 535221-00099.pdf Download Adobe Reader |
Comments:
In rebutting the comments by Keri C. Prince, Esq. and Margaret Feinstein, Esq., of Pre-Paid Legal (Comment # 535221-00049), I find their comments similar in many ways to those of the DSA, though PPS appears not to be a DSA member. To save time, I would refer readers to my comments #535-00091, as the conclusions are the same. The implication of the authors that PPL is any less deceptive in its marketing plan or less flawed or fraudulent in its compensation plan must be challenged. Again, see the attached letter rebutting the DSA comments in my comment #535221-00091. Respectfully submitted, Jon M. Taylor, MBA, Ph.D., Pres. CONSUMER AWARENESS INSTITUTE, and Pres., Jon Taylor & Co., 291 E. 1850 South, Bountiful, UT 84010. Email: jonmtaylor@juno.com