|Received:||6/30/2006 10:05:58 AM|
|Organization:||Midwest Business Development Group|
|Subject:||Business Opportunity Rule|
|Title:||Notice of Proposed Rulemaking|
|CFR Citation:||16 CFR Part 437|
Comments:I would like to say that in building my business using the Quixtar site coupled with the Britt World Wide business team has been a great experience. I am a minister of the church of Christ and have been completely satisfied with the method of approach and information supplied to me by my sponsoring team. My wife and I have always treated others as we would like to be treated and have built our business in the same manner. While I appreciate the FTC's attempt to protect people from those who would take unfair advantage, I believe that Quixtar has taken care of the time to evaluate the business by a prospect with the 6 month return policy. When I am contacted by an insurance agent I am not prohibited from buying a policy for 7 days. Why would this opportunity be any different? While I have no opposition to providing referrences to prospects, I do have opposition to providing to prospects any or all litigation for the past 10 years. This would be irrelevant to the information a prospect needs with which to make a decision due to the number of frvalous suits all corporations experience. While I appreciate your efforts to improve this industry, please don't try to fix the problems with blanket policies which will prove burdonsome to those companies doing the job right!