|Received:||7/1/2006 2:48:09 AM|
|Subject:||Business Opportunity Rule|
|Title:||Notice of Proposed Rulemaking|
|CFR Citation:||16 CFR Part 437|
Comments:HI, my name is Everson I have joined Quixtar last year, I understood as my upline had explained to me about requiring some effort and hard work to achieve my personal goal. I can truly and honestly say that from my part was the best decision ever, I do have the chance to only to provide myself with a little income monthly but also to help and show others that had joined my network what then can do to achieve their goals. For each person that wants to join Quixtar, I show and tell them that this is not a get-rich quick scheme, in fact those who actually think that way I ask them to think before any decision made. I try to help them realize that this is not a get-rich overnigth, it takes time, work, effort and knowlegde. By apply the proposed rule of 7-waiting day period you will be taking away the opportunity of those who already understand to do their business. By requiring a prospect to contact other local IBOs you migth be taking away my chance of reaching new IBOs and giving away my own information. I got in to the business to show myself that the actual bus. does not work, well, it turns out that I made some money. I am very happy that the FTC is trying to protect and prevent people from being part of illegal pyramids schemes, however please make sure you wont hurt us or my effort and hard work devoted to quixtar will be in vain. in advance, thank you for your consideration and i am sure you will understand. Everson...