Comment Number: 522418-06472
Received: 7/6/2006 12:47:29 PM
Organization:
Commenter: MARSHA HEATON
State: OH
Subject: Business Opportunity Rule
Title: Notice of Proposed Rulemaking
CFR Citation: 16 CFR Part 437
No Attachments

Comments:

I think the FTC should adopt the recommendations that Quixtar has recommended. I think that disclosing other IBO's names and phone numbers to prospective IBO's would infringe on the privacy of the IBO that is already in the business. Having other prospects calling them that are not considering getting into business with them is nonproductive for them and the prospect.