Comment Number: 522418-04863
Received: 6/28/2006 4:43:00 PM
Organization: Network 21
Commenter: Stephen Oliva
State: FL
Subject: Business Opportunity Rule
Title: Notice of Proposed Rulemaking
CFR Citation: 16 CFR Part 437
No Attachments

Comments:

My wife and I have been associated with Amway/Quixtar since 1981. We feel that all direct marketing companies should have standard income disclosures. They should have reasonable cancellation policies. They should NOT have a seven day waiting period before they can sponsor or register.We should NOT have to disclose any past litigation. We should NOT have to disclouse our financial records to prospects. We love this business and feel it is very honest and have great products. Please give fair and honest businesses a chance, and stop all the missleading scams that associate themself with us. The Oliva Family