| Comment Number: | 522418-07537 |
| Received: | 7/11/2006 2:09:20 AM |
| Organization: | Gonzalez Enterprises |
| Commenter: | Eduardo Gonzalez |
| State: | TX |
| Subject: | Business Opportunity Rule |
| Title: | Notice of Proposed Rulemaking |
| CFR Citation: | 16 CFR Part 437 |
| No Attachments |
Comments:
Sirs, The Quixtar opportunity for myself and my family is an opportunity for us to help and empower other individuals. I did not find it necessary to check the references of the teams of individuals that we would be involved with because I am in business for myself but not by myself. Shopping online and redirecting where I spend my hard earned dollar is our choice. I understand that if I were to purchase a WalMart I probably would want to know the financials, litigation history and references of the team involved, but who wouldn't, since the costs to start a WalMart would be in the millions of dollars. For a few hundred dollars, I do not see a need to get reference checks, financial statements, or past litigation histories about Quixtar. The Quixtar opportunity allowed me to have my own business that I could work around my busy schedule and help other individuals. I would ask the FTC to not overburden an Independant Business Owner (IBO), or an individual who is considering to start their own IBOship with a lot of unnecessary documentation that could hinder a non perspective IBO to give up on their dreams and goals. Sincerely, Eduardo Gonzalez,