Comment Number: 522418-02524
Received: 6/16/2006 1:42:47 AM
Organization: Synergy Worldwide (look in to it)
Commenter: Tim Carpenter
State: CA
Subject: Business Opportunity Rule
Title: Notice of Proposed Rulemaking
CFR Citation: 16 CFR Part 437
No Attachments

Comments:

To the FTC, R511993 Is very damaging to my business and the future of network marketing, here is why: Seven-Day Waiting Period -Casts direct selling plan in a negative light -Record keeping and administrative problems -Causes unnecessary delays Litigation Reporting -Unfair that it does not distinguish between winning and losing lawsuits References -Impractical to find 10 nearest distributors -Privacy issues due to ID theft and safety Appreciate FTC’s Goals, But -Understand there may be fraudulent groups out there, but the FTC’s proposed rule would unfairly target legitimate direct selling businesses. Please reject this ridiculous proposal!