Comment Number: 522418-05904
Received: 7/4/2006 11:27:12 AM
Organization: Quixtar
Commenter: Gabriel & Michelle Acosta
State: NC
Subject: Business Opportunity Rule
Title: Notice of Proposed Rulemaking
CFR Citation: 16 CFR Part 437
No Attachments

Comments:

To whom it may concern, My husband & I, are IBO's in Quixtar and we are so glad to be apart of this organization. We have been in business for a year now and have been able to increase our income potential. We have reached many of our goals in this business and are very proud to be apart of Quixtar. These proposed rules affect our business in many ways. WE think of our business as a private franchise, just like any other business. We realize that prospects should be informed and they can fully refund there money it they are not happy. But to restrict IBO's with a seven-day waiting period, disclousure statements, and have to release financial statements is crazy. Quixtar has deveolped some proposed solution to each of the proprosal listed by the FTC and WE fully support Quixtar. Thank you, Gabriel & Michelle Acosta