| Comment Number: | 522418-03830 |
| Received: | 6/22/2006 1:27:39 PM |
| Organization: | XanGo LLC |
| Commenter: | Joan Casto |
| State: | CA |
| Subject: | Business Opportunity Rule |
| Title: | Notice of Proposed Rulemaking |
| CFR Citation: | 16 CFR Part 437 |
| No Attachments |
Comments:
As to Business opportunity Rule, Notice of proposed rulemaking 16CFR Part 437 of April12,2006, I would like to express my opinion on this. I am an Independent Distributor of the juice Xango. I have only sold the product to a few people in the less than 1 year that I have been part of this company. However, I intend to continue to inform people I meet and know about the efficacy of the juice because I completely believe in it. I am a senior on Social Security and am a distributor, not only to enhance my own health but to help, others enhance theirs as well. At the same time , I hope to be able to supplement my Social Security Income and make my life a little more comfortable. The rules being proposed sound as though they would make my job as a distributor far more difficult if not impossible to follow. I never at any time had any reason to think that this operation is anything less than completely honorable and honest in its claims to me or anyone else. After I tried it myself and found considerable improvement in the status of my health, I decided to attempt to share this knowledge with others. It would be difficult to hold people's interest if it became necessary to wait 7 day before signing them up for shipment. As the saying goes, we need to strike while the iron is hot! The requirement to have them provide the names of other possible clients within the area seems impossible to achieve. How would they be able to comply with this? They couldn't know who I might contact after them. Checking on any litigation regarding the product without discovering the outcome or conditions involved would also be extremely difficult and time consuming and could certainly lead to false suspicions. In short, this ruling could cause a great deat of harm to the little independent distributor like me and I would urge you to carefully consider these points before ruling. Thank you, Ms. Joan Casto