|Received:||7/14/2006 10:37:03 AM|
|Subject:||Business Opportunity Rule|
|Title:||Notice of Proposed Rulemaking|
|CFR Citation:||16 CFR Part 437|
Comments:To whom it may concern, I feel impressed to comment on the proposed " Business Opportunity Rule, R511993. I appreciate the FTC desire to protect the public from potentially fraudulent and unethical businesses and claims which are not true. In doing so I am happy that the FTC gives legitimate businesses the opportunity to comment on any rule which could adversely affect their operations. My involvement in the network marketing industry began in earnest in November 2005, I became involved because it offered what I was actively looking for , an industry with a proven track record of success and which provided me with the opportunity spend more time with my family. I did my due diligence and found independently verifiable information on the product on offer, tried it myself and saw the benefits and was happy share with anyone interested. The grow and survival of this industry has been positively impacted by the rapid growth of technology which has been used to deliver timely information and support. The portion of this proposed rule dealing with the seven day delay after contacting potential purchaser in order to submit the information on persons in a particular location specified by the rule would greatly slow the transacting of business and may lead to questioning of a distributor and/or company's ability to deliver products or services in a timely manner.This lost of confidence could be fatal to any legitimate business relationship.I sincerely ask that this will be taken into consideration as the FTC make their deliberations. Yours sincerely, Jefferyson A. Gordon Independent Xango Distributor.