|Received:||7/17/2006 10:41:44 AM|
|Subject:||Business Opportunity Rule|
|Title:||Notice of Proposed Rulemaking|
|CFR Citation:||16 CFR Part 437|
Comments:to whomso ever it may concern this letter is in support of new laws that would possibly be imposed on the direct marketing companies.We(myself and my husband)have been part of the quixtar business for the last 10 yrs.We are qualified platinum IBOS.I have always been impressed with the ethics and the fairness of the business concept.I seen and experienced the difference between the conventional way of creating incomei.e jobs and my medical practice.In our practice we never share info. of new patients to any body,therefore to ask a new prospect to wait for a week and ask them to give 10 names ,I think is imposing on the privacy of the prospect as well as the list of people. Most major fortune 500 companies have law suits,so does small companies,and doctors do get sued.We do believe one should not make decisions regarding the company based on past allegations. in medical proffession doctor makes income based on their specialty and within specialty its variable based on their effort. therefore its easy to disclose as average monthly gross income for 'active IBOS'.as we disclose by medical speciality. We hope FTC will provide all the IBOS a fair opportunity to build a business like quixtar.after all we live in USA,The greatest country with the free entrerprise system.