|Received:||7/5/2006 5:39:32 PM|
|Subject:||Business Opportunity Rule|
|Title:||Notice of Proposed Rulemaking|
|CFR Citation:||16 CFR Part 437|
Comments:The Quixtar business opportunity has been a great blessing to my life. I have been in the business for 16 years and I have supplemented my income ever since I started. Quixtar has always had the greatest integrity in their business practices. I feel that your ruling some points that I disagree with very strongly. 1. FTC should not require a seven-day waiting period before registration. I provide several pieces of literature and several websites to look up to research this business. I dont want it legislated that I do it. This is free enterprise. 2. FTC should not require prospects disclosure of past litigation. An individual is not stupid and is very capable of looking these things up it they want to. We don't need laws to tell them to do it. 3.My financial records are no one's business. This info is not required of a business befor an employee is employed. Why us? 4. Yes, the FTC should say that a business should provide a reasonable cancellation policy 5. Yes, the FTC should say that simple, clear, and standardized income disclosures that apply to ALL direct sellers.