| Comment Number: | 522418-10470 |
| Received: | 7/16/2006 2:43:30 PM |
| Organization: | BWW |
| Commenter: | Ron Long |
| State: | MN |
| Subject: | Business Opportunity Rule |
| Title: | Notice of Proposed Rulemaking |
| CFR Citation: | 16 CFR Part 437 |
| No Attachments |
Comments:
I feeel that this is a very restrictive proposal to the free enterprise system. The better way to do this is to have a standard disclosure at the time of contact or at the presentation. Second item of concern- Why should the FTC be concerned about the companies that are following the existing rules? Quixtar and BWW have had an exemplary record of doing what is right in this type of business. third item of concern- We are not perfect but we should have the right to prove to that prospect that we will conduct our business in good faith. (Besides the business is fully guaranteed with money back guarantee) <this should not require us to wait 7 days to join our system> 4th item of concern- Address the individual companies of concern, dont throw the baby out with the bath water. Quixtar, along with its parent company Alticor have a tremendous record in the past in the present and will continue to do so in the future. Dont mess with something that is working okay. Take care of whats wrong with the scam companies but dont get us confused with those bad eggs. We have been involved with this business for over 20 years and have never had a challenge with the way this existing business has been run; I strongly recommend that you would follow up with those few bad direct marketing scams that give the majority of us who count on this business for our livelihood a bad name. The Alticorp Company will continue to work within the Laws of the USA however dont restrict a good company of this nature by not allowing them to do their business at the highest levels of honesty, morality and integrity. sincerely, Ronald J Long