Comment Number: 522418-06188
Received: 7/5/2006 3:57:08 PM
Organization: Ryder Free Market Enterprises
Commenter: Cheryl Ryder
State: NM
Subject: Business Opportunity Rule
Title: Notice of Proposed Rulemaking
CFR Citation: 16 CFR Part 437
No Attachments

Comments:

As a college-educated person having over 40 years in the American work force with career education in both domestic business and international trade laws and regulations, I am proud to own an independent business powered by Quixtar, the North American e-commerce business model of the Alticore family of businesses. We make no untrue claims about our opportunity, and our suppliers and support organizations stand behind their word 100 percent. Better than making a complicated new law, the FTC and Lawmakers should intead use the rules that were enacted many years ago to ensure full disclosure of the actual earning capability of OUR business opportunity, as the requirements for all other multi-level marketing enterprises to follow. I truly appreciate the excellent opportunity for making income, the education and training that Quixtar and the Wordwide Dream Builder Organization have provided at an incredibly low cost, and especially the highly ethical and moral behavior modeled by our lndustry leaders. Our business model already creates a "level playing field" for all Quixtar Independent Business Owners we don't need the government to add an uncessary burden of beaurocracy to what we already do. Our business isn't "broken". You don't need to "fix" US. Instead bend your attention to fixing the ones that don't comply with the regulations already enacted. Sincerely, Cheryl & Martin Ryder