Comment Number: 522418-07895
Received: 7/11/2006 11:22:40 PM
Organization: Brackett Enterprises
Commenter: James Brackett
State: NH
Subject: Business Opportunity Rule
Title: Notice of Proposed Rulemaking
CFR Citation: 16 CFR Part 437
No Attachments

Comments:

The Quixtar Business has provided an avenue of totally positive supported viable business opportunities to all people who have a desire to build an internet powered business. They have always been held by myself and my family in highest esteem and show utmost integrity at all areas of business, even as I began this business in the seventies. There has never been a question of good business practices ever since we have been involved with them. As stated in the proposal, the increased, but in my opinion unnecessary, burden of unneeded disclosure requirements will discourage me from continuing with my association with this highly ethical and fair company. Basically I agree with each of the IBOAI board recommendations ie: 1. A level playing field requiring clear, simple, and standardized income disclosures that apply to all direct sellers should be created. 2. should provide a reasonable cancellation policy 3. should not require a seven-day waiting period before a prospect could register. 4. should not require IBO references be provided to prospects or disclosure of past litigation. 5. should not require financial records to be disclosed to prospects. All said, this company of Quixtar has provided me and my family with the best business training available anywhere. There is in my mind no comparison to be found of the high quality of business practices anywhere in the world. I appreciate the efforts to clear the playing field of imposters and fraudulent thinking 'copy cats'. These people lower the standard of business relationships across the board in all business interrelations, whereas this world needs more of what Quixtar provides to the people and to this world.