| Comment Number: | 522418-04562 |
| Received: | 6/27/2006 12:14:41 PM |
| Organization: | PartyLite |
| Commenter: | Karen Barber |
| State: | IL |
| Subject: | Business Opportunity Rule |
| Title: | Notice of Proposed Rulemaking |
| CFR Citation: | 16 CFR Part 437 |
| No Attachments |
Comments:
Dear Federal Trade Commission Member: I am writing to ask that you reconsider some of the requirements you are proposing to regulate the direct sales industry. I am a PartyLite Consultant who has been proud to be involved in this business for over 11-1/2 years. I began my PartyLite business to help support my family. The income I currently earn has allowed me to stay at home with my son while contributing to our household. The proposals you are suggesting would make my business much more difficult and possibly impact my income. Specifically, in terms of the references requirement, I would never feel comfortable providing the personal contact information of other people in PartyLite, nor would I want my own personal information given out freely. I feel that this is an extreme violation of my privacy. In PartyLite, we provide several opportunities where new Consultants can meet with current Consultants, without infringing on someone's privacy. I feel extremely proud about sharing PartyLite’s very real business opportunity with others and want to continue to easily introduce PartyLite to more people who could benefit as I have. The regulations you are proposing would hinder me from doing so – and would hinder others in starting their business in the timeframe they choose. Please know that I’m thankful that we have the FTC working to protect average consumers like me, but in this case, you will be working against me, impacting my income, my future, and my family’s future. Please reconsider the regulations you are proposing. Respectfully yours, Karen M. Barber