Comment Number: 522418-08288
Received: 7/12/2006 3:48:00 PM
Organization: DEP Enterprises
Commenter: Jane Pollock
State: GA
Subject: Business Opportunity Rule
Title: Notice of Proposed Rulemaking
CFR Citation: 16 CFR Part 437
No Attachments

Comments:

I am very concerned about the FTC proposals that puts limitations on my Quixtar Business. I have been an IBO for over 5 years and have a number of customers and several IBO's under me. I feel that our prospectus literature discloses accurately the potential for income in this business. That literature has the average of all IBO's income listed on every peice. The way I work my business, it would be a hardship to have to followup after seven days. I just cannot see a reason to impliment that rule. And keep in mind that we offer a money back guarentee for 180 days. No other business does that. I always emphasize that this is not a get rich quick deal and only those who work the business make the money. I am surely opposed to having to show any legal claims. I feel that would greatly impair my ability to register new IBO's. The way our business works, having to list other IBO's could be a problem. These people could convince my prospects to go with them. Disclosure of my income would also be unfair. Remember, the ones who work the business make the money and that is proven with Quixtar/Amway for 40 plus years. I am not opposed to rules that protect consumers but these suggested rules would greatly and negatively effect me and my business that I plan to grow in the coming months. Please treat us fair like the truly great opportunity we offer people. Jane Pollock