|Received:||8/7/2006 9:55:09 PM|
|Organization:||CONSUMER AWARENESS INSTITUTE - AND PYRAMID SCHEME ALERT|
|Subject:||Business Opportunity Rule|
|Title:||Notice of Proposed Rulemaking|
|CFR Citation:||16 CFR Part 437|
|Attachment:||522418-13113.pdf Download Adobe Reader|
Comments:[NOTE: This is a corrected copy of the my earlier submittal (tracking number 522419-13112), which had several typos because I was in a rush to get it to you. Please replace it with this one.] ATTN: FTC officials considering this rebuttal of Direct Selling Association (DSA) comments: Thank you for this opportunity to debunk some of the many deceptions put forth by the DSA. This forum could have long term beneficial effects, assuming FTC personnel finally forge ahead with meaningful disclosure. Attached is my rebuttal of comments by Direct Selling Association (DSA), comments numbered 522418-12055 through 522418-12096 by Joseph Mariano.