| Comment Number: | 522418-10831 |
| Received: | 7/16/2006 11:01:24 PM |
| Organization: | quixtar |
| Commenter: | marcus stogner |
| State: | NC |
| Subject: | Business Opportunity Rule |
| Title: | Notice of Proposed Rulemaking |
| CFR Citation: | 16 CFR Part 437 |
| No Attachments |
Comments:
QUIXTAR CREATES A LEVEL PLAYING FIELD BY REQUIRING CLEAR,SIMPLE,AND STANDARDIZEDINCOME DISCLOSURES THAT APPLY TO ALL DIRECT SELLERS. PROVIDE A REASONABLE CANCELLATION POLICY. QUIXTAR SHOULD NOT HAVE TO REQUIRE A SEVEN DAY WAITING PERIOD BEFORE A PROSPECT COULD REGISTER. SHOULD NOT REQUIRE IBO REFERENCES BE PROVIDED TO PROSPECTS OR DISCLOSURES OF PAST LITIGATION. SHOULD NOT REQUIRE FINANCIAL RECORDS BE DISCLOSED TO PROSPECTS. ALL QUIXTAR LITERATURE AND DOCUMENTATION IS VERY CLEAR AND EASY TO UNDERSTAND AND WE HAVE RULES AND REGULATIONS OF CONDUCT THAT WE FOLLOW TO UPHOLD VERY HIGH STANDARDS THAT ALL IBOS FOLLOW AND AGREE TO.I BELIEVE THAT IS WHAT SEPARATES QUIXTAR FROM OTHER UNETHICAL AND MORAL COMPANIES AND THEIR PRACTICES.THANK YOU FOR LETTING US VOICE OUR OPINIONS.