Comment Number: 522418-09841
Received: 7/15/2006 11:28:37 AM
Organization: D&C International
Commenter: Robert Roach
State: NC
Subject: Business Opportunity Rule
Title: Notice of Proposed Rulemaking
CFR Citation: 16 CFR Part 437
No Attachments

Comments:

IT IS MY OPINION THAT THERE SHOULD BE SOME CHANGES IN REFERENCE TO BOGUS GET RICH QUIK SKEMS BUT QUIXTAR IS NOT ONE OF THOSE SKEMS. I DONT THINK THERE SHOULD BE ANY WAITING PERIOD FOR SOMEONE TO REGISTER AS AN IBO, THAT DECISION SHOULD BE UP TO THE PERSON WANTING TO REGISTER. THERE IS ALSO NO NEED TO SHOW SOMEONE ANY KIND OF PAST LAWSUITS OR LEGAL ALLIGATIONS, A POLICE DEPARTMENT WOULDNT HAVE TO SHOW ANY LAWSUITS IF YOU WERE APPLYING FOR EMPLOYMENT. THE NEXT THING IS THAT NO ONE SHOULD HAVE TO DISCLOSE THERE FINANCIAL RECORDS TO ANYONE BUT THE IRS. THERE SHOULD BE A LEVEL PLAYING FIELD BY REQUIRING SIMPLE AND CLEAR DISCLOSURES TO APPLY TO ALL DIRECT SELLERS. NOW, HOW WOULD AN BRAND NEW IBO BE ABLE TO GIVE A REFERNCE OF TEN OTHER IBO'S WHEN THAT PERSON PROBRABLY DOES NOT EVEN KNOW TEN OTHER IBO'S. I SUGGEST THAT YOU FOCUS YOUR REGULATIONS ON SKEMS AND NOT ACTUAL BUSINESS'. I HOPE THAT YOU CONSIDER THAT THERE ARE PEOPLE RAISING FAMILIES WITH QUIXTAR AND THERE IS NOTHING WRONG OR ILLEGAL ABOUT THE WAY ITS BEING DONE. THANKS.