Comment Number: 522418-09071
Received: 7/13/2006 9:43:28 PM
Organization:
Commenter: Ganesh Shenoy
State: MI
Subject: Business Opportunity Rule
Title: Notice of Proposed Rulemaking
CFR Citation: 16 CFR Part 437
No Attachments

Comments:

Hello Sir/Madam: I have been building quixtar business for the last 12 years. I started as a student and building it part time but now i am building Quixtar Full time for the last six years. This business as absolutely change my and my families life for better. We have hundreds of IBO's in our group arround the country building this business under the guidelines of Quixtar. We all follow the guidlines and always make sure that the ibos whom we sponsor are given the right information to make a proper decision. Dealing with Quixtar for last several years I truely beleive that they have done a great job of being EXTREMELY Transperent in providing the information to all the IBO's through SA4400 and other literature on the website. Sometimes i even feel that we are too naive and honest compared to other network marketing companies The New rule proposed by FTC would negatively affect my business and slow down the growth drastically. I would appreciate if you could reconsider this Rule especially for Quixtar IBO's since we already have a fool proof procedure of registering people without any gimics. We already provide SA4400 for the prospect when he sees the plan for the first time. This literature has very good information and is very clear on all the facts about the business opportunity. So the new prospect gets more than sufficient information to make an educated decision. If you want to talk to few ibos or see how we get somebody started, you are more than welcome to send your representative so that he can see the procedure of getting somebody started. We have our meetings at Southfield Michigan and I will be glad to meet with FTC. Thanks Very much Sincerely Ganesh Shenoy