Comment Number: 522418-10636
Received: 7/16/2006 7:43:19 PM
Organization: Diamond H Marketing
Commenter: Judy Harris
State: TX
Subject: Business Opportunity Rule
Title: Notice of Proposed Rulemaking
CFR Citation: 16 CFR Part 437
No Attachments

Comments:

Quixtar is not a get rich quick business, prospects are notified of this up front. The Federal Trade Commission has already determined that Quixtar is a legitimate company. Requiring us to provide references and contact information is an invasion of my privacy and time. Requiring prospects to wait 7 days to sign up destroys the timing of our business. Requiring us to declare involvment in any law suites is discrimatory. GMC and CocaCola do not have the same requirement. Big business would have a huge advantage over small business. In short, if these requirements are implemented our business would be severely crippled.