| Comment Number: | 522418-10651 |
| Received: | 7/16/2006 8:02:32 PM |
| Organization: | Hansen Enterprises |
| Commenter: | Andrea Hansen |
| State: | AK |
| Subject: | Business Opportunity Rule |
| Title: | Notice of Proposed Rulemaking |
| CFR Citation: | 16 CFR Part 437 |
| No Attachments |
Comments:
To Whom It May Concern: While I appreciate the gest of what you are attempting to do with this legislation, I cannot agree with every aspect of the rule. I believe the rule: Should create a level playing field by requiring clear, simple, and standardized income disclosures that apply to all direct sellers. Should provide a reasonable cancellation policy. Should not require a seven-day waiting period before a prospect could register. Should not require IBO references be provided to prospects or disclosure of past litigation. Should not require financial records to be disclosed to prospects. Our business believes in the honest approach to prospects and does not wish to deceive anyone, yet some of these requirements would put unnecessary ties and restrictions on our abilities to share our business opportunity with others. We all want to have businesses which are not ligitimate to be contolled on the internet, however, we do not want those which are ligitimate opportunities to suffer at the same time. Thank you for taking steps to control illegal use of the internet. Thank you for taking the interest of ligitimate businesses into consideration. Sincerely, Andrea J. Hansen Quixtar IBO