Comment Number: 522418-06066
Received: 7/5/2006 9:42:17 AM
Organization:
Commenter: David Toves
State: Not in the US
Subject: Business Opportunity Rule
Title: Notice of Proposed Rulemaking
CFR Citation: 16 CFR Part 437
No Attachments

Comments:

Dear FTC, I would like take this opportunity to express my concerns of the Bussiness Opportunity Rule. First of I've been involved with MLM since May 2005 and this was introduced to me through a family member. I must admit that for the first time in MLM, I've found the Company that I can trust and rely upon. This MLM Company has given us the most uttmost confidence to suceed and desire to press on direct selling. The rewards are overwelming.We also want to express our appreciation of the FTC's consumer protection mission, however, we are concern on the impact it will cause on legitimate direct selling group of businesses. No doubt there are many fraudulent groups out there, but this particular rule unfairly targets the actual legitimate groups of direct selling groups.Also in regards the 7 day waiting period will greatly dampen the direct selling business like never before. Only to send a poor and negative way to do direct selling. Please understand that this becomes impractical for the ligitimate selling business as well as becomes a tremendous burdon for unnecessary delays. I am asking the FTC to kindly reconsider the $500 business threshold that will be too great for the average individuals and the earning claims becomes too difficult to collect all required data. Thank you for allowing me to briefly voice my concerns and we hope that you find the good companies does not deserve the situation it's facing. I have finally found something this country has given me to go for my ambision and dreams through direct selling business and many of the people in America can achieve. Thanks again and thanks for your help. Kind Regards, Dave and Marie Toves