Comment Number: 522418-11634
Received: 7/17/2006 2:02:17 PM
Organization: The TEAM Powered by Quixtar
Commenter: Cheryl Gabourie
State: MI
Subject: Business Opportunity Rule
Title: Notice of Proposed Rulemaking
CFR Citation: 16 CFR Part 437
No Attachments

Comments:

My husband and I have been with Quixtar since April of 2005. With the potential this bussiness has to offer, my husband retired from his job of 26 years to pursue this full time. The leadership we have received is outstanding and the training provided is second to none. We have found the informatin available thru the materials provided by Quixtar, including the Website, brochures, and reference guides, answered our questions and we were able to make an informed decision about registering. We have also directed new prospects and IBO's to the same information to educate themselves as to the integrity of this company, that this is not a 'get rich quick scheme', that it will take an investment of their time and hard work on their part, and there is no guarantees of success. A detailed explanation of registration fees and optional product pack as well as an average gross income earnings statement are included in the registration forms. I believe the current information available to prospects not only is adequate but includes all aspects of possible concerns. More requirements for registration would not only be overwhelming for both the prospect and the bussiness owner, but may infringe upon the disclosure of personal information irrelevant to the bussiness plan and earning potential.