|Received:||7/1/2006 12:15:30 AM|
|Organization:||R & D Enterprises, Inc.|
|Subject:||Business Opportunity Rule|
|Title:||Notice of Proposed Rulemaking|
|CFR Citation:||16 CFR Part 437|
Comments:I am expressing my concern with the proposed Business Opportunity Rule, R511993. My experience as an Independent Business Owner associated with the Quixtar/Access Business Group Intern'l for 6 and a half years has been the most positive profitable opportunity I have ever experienced. I see no reason for the proposed restrictions on offering an opportunity to someone that is already receiving all the information and more before deciding to register for their own business. Any amount spent on registration has 100% money back guarantee for 12 months. In all my years in this business I have never experienced anyone misleading me or anyone associated with me in my business and likewise, we treat all prospects with the same respect to make a well informed, educated decision. I see no advantage or benefit for a 7-day waiting period since the decision to start a business solely rests with the prospect not the person offering the opportunity. All prospects are informed the Quixtar business opportunity takes work, focus and there are no quarantees of success as with any business. I have found many businesses, including the largest corporations in this country, have litigations in the courts but are not required to discuss this with prospects that are being recruited to work for the company. Why would a business owner be required to provide information that has nothing to do with their own business practices. Imposing these restrictive rules for a legitimate business opportunity are unwarranted, unfair and limits my ability to compete in the market place. I strongly urge you to reconsider proposing Business Opportunity Rule R511993.