|Received:||7/11/2006 1:05:22 AM|
|Subject:||Business Opportunity Rule|
|Title:||Notice of Proposed Rulemaking|
|CFR Citation:||16 CFR Part 437|
Comments:I have been an IBO for just over one year now, and am concerned about the proposed FTC regulations. I have been genuinely happy with my experience with Quixtar, the service is number one, the credibility is impecable, and the potential is astounding. However I feel that some of the proposed regulations would not benefit my business becuase I know that I have entered into and run a very credible business team. As a prospect prior to registering as an IBO my team gave me information freely about the company. They encouraged me to meet the entire team, infact it is a standard...we want people to know who they are working with. I would not ever appreciate a call during my time with my family to discuss with someone my thoughts on the business if that person will have no financial impact on my life. Because not every team has the integrity that we do I would worry that my "provided" contact information could be used inappropriately. After doing my own due dilligence I was not able to find any negative about my team. As a team we do not ever give false claims regarding our income. I do not however provide my financial information to other people simply becuase that is personal information. A professional person should not need the time suggested by the proposed regulations to research properly. These new regulations I feel would hinder legitimately run businesses and only promote shady business practices.