Comment Number: 522418-05328
Received: 6/30/2006 5:22:41 PM
Organization: Markiewicz International
Commenter: Sean Carter
State: SC
Subject: Business Opportunity Rule
Title: Notice of Proposed Rulemaking
CFR Citation: 16 CFR Part 437
No Attachments

Comments:

Hello. I have recently been made aware of the proposed FTC rule. I have read the propsed rule and find some of the proposed regulations alarming. I am an IBO and I think that some of the regulations in the new rule would severly hinder our business expansion process. Having someone wait seven days before being able to register is an absolutly rediculous idea. What purpose does that serve? There is a lot of information avaliable to anyone who is prospecting our business. I don't belive that finacial records need to be disclosed to prospects beause those records are personal information to someone. The is a business built on performace. The records that would be given to a prospect would not be an accurate reflection of the income potential that this business has to offer. IBO references are not needed. If a prospect is able to actually get around some of the people who are sincere in this business..then they would find all of references that they need when they meet successful IBO. Sincerly Sean Carter (IBO)