Comment Number: 522418-10506
Received: 7/16/2006 3:52:45 PM
Organization: Quixtar
Commenter: Jessica Ouyang
State: CA
Subject: Business Opportunity Rule
Title: Notice of Proposed Rulemaking
CFR Citation: 16 CFR Part 437
No Attachments

Comments:

I regisitered as an IBO of Quixtar recently. Before I registered, I studied the products and was informed very clearly of the Quixtar business opportunity including the reward system, and understood that only effort will make income. I found all the products are so good to people and the environment. And I understand that by helping others with the knowledge I learnt from Quixtar and I will make money too. I believe that if I put in a lot effort, eventually will meet my goal of a free life. I also understand that if I do not like that I will always get the refund on my membership fee as well as any products I have used. Quixtar is an excellen company. I just thinnk that some points in proposed rules by FTC is not appropiate. That are not fair to the IBOs. The wait period, providig of the list of IBOs, litigation list, earning disclosures and financial substantiation are all unfair and against personal privacy. That will totally hurt the IBO business.