Comment Number: 522418-00417
Received: 6/1/2006 9:17:29 PM
Organization:
Commenter: Ora Skiles
State: CA
Subject: Business Opportunity Rule
Title: Notice of Proposed Rulemaking
CFR Citation: 16 CFR Part 437
No Attachments

Comments:

Re: Business Opportunty Rule, R511993 would be an impossible situation for us to continue our Shaklee Business which we have needed in our retirement years. While I realize the FTC is trying to protect consumers, I believe this proposed new rule has many unintended consequences for direct sellers. The ten reference requirement is an administrative burden and the seven-day waiting period to enroll new distributors is unncecessary in that the Shaklee Corporation already has a 90% buyback policy for all its products purchased by a distrubutor within the last two years. Please do not pass this ruling which will lput many of us out of business. Sincerely, Ora Skiles