| Comment Number: | 522418-11887 |
| Received: | 7/17/2006 4:22:45 PM |
| Organization: | |
| Commenter: | Mike Stangler |
| State: | MN |
| Subject: | Business Opportunity Rule |
| Title: | Notice of Proposed Rulemaking |
| CFR Citation: | 16 CFR Part 437 |
| No Attachments |
Comments:
I am writing this comment because I am concerned about the proposed Business Opportunity Rule R511993. In its present form it could prevent me from effectively continuing as a Sunrider Independent Distributor. I understand the role of the FTC to protect the public from unfair and deceptive acts, but some of this rule will make it very difficult for me to continue to sell Sunrider Products. The seven day waiting period will make it very difficult for me to keep track of all my prospects and when I first talked to them. Additionally I dont understand why I would have to release information about lawsuits against Sunrider if they were found innocent. And, in regard to releasing information to the prospective buyer about the 10 nearest purchasers, I am very uncomfortable doing this when identity and personal privacy are such important issues to the individual these days. I have become a Sunrider distributor due to health issues. I need to sell the product in order to pay for my own health product needs. Please dont hamper this process, it is needed for me to continue on my path of recovering from my illness. Please consider other less burdeonsome means to achieve the goals of this legislation. thank you for your time.