Comment Number: 522418-09360
Received: 7/14/2006 12:51:03 PM
Organization: Quixtar
Commenter: David Fimiani
State: FL
Subject: Business Opportunity Rule
Title: Notice of Proposed Rulemaking
CFR Citation: 16 CFR Part 437
No Attachments

Comments:

I have been an IBO in the Quixtar business since 1992 and have found the corporation to exemplify integrity and honesty. I am also a traditional business owner for over 30 years and find the proposed rule burdensome and unnecessary, as it is now written. It's hard enough to be a small business owner today without adding more layers of bureacacy. It doesn't make sense that this type of business be singled out as compared to a traditional business. None of these new proposals are required in a traditional business because they don't make any sense as they are now written. Prospects in any business check it out before making a financial committment. I always explain the options to a prospect and make it clear that they should do research and confirm what they have been told. Quixtar has a complete money back guarrantee so new prospects can feel safe if they change their mind. The Quixtar business has had a positive impact on my life as it has on many others.