Comment Number: 522418-05849
Received: 7/3/2006 9:06:57 PM
Organization: Quixtar
Commenter: Mia Padilla
State: AZ
Subject: Business Opportunity Rule
Title: Notice of Proposed Rulemaking
CFR Citation: 16 CFR Part 437
No Attachments

Comments:

It is with full support that I agree with the foundation of providing prospective IBOs with accurate and concise information pertaining to the Quixtar opportunity. I however am overwhelmed with the idea of the elongated process of registration requirements. I believe that any information specifically requested by a prospective IBO should be provided, but should not burden the sponsoring IBO. Quixtar is a business built on honesty and integrity and should be revered as such. A proper cancellation time period and accessible disclosures to prospective IBOs are necessary. There should not be intrusive procedures mandated upon the sponsoring IBOs, for they already have many responsibilities. Furthermore, all direct selling companies should comply to a basic procedure and equal obligations to their prospective IBOs. Thank you for your review of this matter.