| Comment Number: | 522418-09256 |
| Received: | 7/14/2006 8:39:56 AM |
| Organization: | |
| Commenter: | Keith Battleson |
| State: | MN |
| Subject: | Business Opportunity Rule |
| Title: | Notice of Proposed Rulemaking |
| CFR Citation: | 16 CFR Part 437 |
| No Attachments |
Comments:
Greetings, I have heard of the FTC's proposed changes called “Business Opportunity Rule, R511993” through my association as a distributor for XanGo, LLC. I want to encourage you in the highest way to carefully consider all comments the Xango legal team puts before you in this matter as having my full support. While I obviously support your mission to protect the American consumer, in reviewing the proposed changes I seriously doubt I would have found the product under the proposed rule changes. My personal use of this product has led to a natural marketing opportunity that would be severely burdened and restricted by these proposed changes. Specifically I find unreasonable: 1.Seven day waiting periods. 2.List of nearest references. 3.Earnings claim statements. 4.Lists of Legal actions. 5.History of Cancellations and refunds. Please work closely with Xango, Direct Selling Association’s (DSA), United Natural Products Alliance (UNPA) groups on these proposed changes to ensure that my rights as a consumer and a producer are not overly burdened by government regulations. Sincerely, Keith Battleson