Comment Number: 522418-04842
Received: 6/28/2006 3:53:13 PM
Organization: Quixtar
Commenter: Washington
State: AL
Subject: Business Opportunity Rule
Title: Notice of Proposed Rulemaking
CFR Citation: 16 CFR Part 437
No Attachments

Comments:

I would like to comment on the new rule being propsed by the FTC. My wife and I have been affiliated with the Quixtar Corporation for almost four years now. Although it has proven itself not to be a get rich quick, the level of success we have gained in such a short ime has been incredible. Financially it has given us options that not many people we knew in there mid-20's had. The personal development we have gained over the last few years through the association of positive influences with people affiliated with Quixtar has given us success in many other areas of our life outside of our business. Since being affiliated with Quixtar they have upheld the upmost of integrity. I was provided ample amount of literature prior to registration. Although I do understand the FTC's reasoning for certain stipulations in the rule, I have not yet in four years been exposed to anyone that has felt they were not given enough information before they made a decision to start there business powered by Quixtar. The rules that are being propose invade the privacy of not only the IBO, but also those that have entrusted information into their registering IBO. I do ask that the FTC consider the statements that are received from actual credible IBOs affiliated with Quixtar. As we continue our support of your organization, we thank you for all your efforts. Sincerely, Willie & Jaraux Washington Quixtar IBOs