|Received:||7/12/2006 4:23:30 PM|
|Organization:||NGUYEN ENTERPRISES INC|
|Subject:||Business Opportunity Rule|
|Title:||Notice of Proposed Rulemaking|
|CFR Citation:||16 CFR Part 437|
Comments:i have been an IBO since 3/2005.i have been able to reached my personal and business growth.my next goals for 2006 are register 6 businesses and increase my revenue 12%.quixtar business has made me a better person and put others before me.when i registered with quixtar i recd alot of info.i informed my new prospects this business is not a get rich quick and that hard work is required and that if they don't want to build the business they can get their money back within 6mos. i don't agree with the seven-day waiting period-i think that the new prospects should decide that on their own not the FTC. i don't think that we should disclosure other IBOs personal information because the prospects will have a chance to meet other IBOs at the open meeting and product association services education (P.A.S.E).AWESOME people AWESOME business. i don't think that we need to provide a past litigation about the company if you want to know more about the company they should go to better business bureau. i don't agree that we need to disclosure earnings because it depends on the person effort and very hard work.(if the prospects seen the business plan they should get the lit pack that have all the numbers/figures how to generate an income. i don't think is apprropriate for us to give prospects a financial records.