Comment Number: 522418-12701
Received: 7/17/2006 11:38:32 PM
Organization: Kanda Marketing
Commenter: Kevin Fitch
State: AR
Subject: Business Opportunity Rule
Title: Notice of Proposed Rulemaking
CFR Citation: 16 CFR Part 437
No Attachments

Comments:

To whom it may concern, I have been a Quixtar IBO for about 4 years now, and know I am affiliated with a great company. With that said I would like to address the current proposals that would affect my business. The first one would be the 7 day waiting period. Other businesses do not require a 7 day waiting period why should this one? With our one year money back policy there would be no risk, so why wait. Our info packets are very easy to understand and are very clear about earnings and refund policies. Second issue would be the earnings and references. There is enough situations where we have to have our personal informations known and sometimes sold without our consent, most people, including me do not want more people knowing my information. I feel this proposal is almost a violation of free enterprise and would really hinder our business, which is run with the utmost honesty and integrity. It makes it seem as if business ventures are shady and risky. I appreciate the concern of the FTC about scams and pyramid schemes, however dishonesty and scams will always exist even with this ruling, thats why they are illegal because they do not care about rules and standards, we do. Therefore the businesses that are legitimate and FOLLOW rules and laws set by the FTC are the ones who will be hindered, punished, and burdened. Please reconsider this ruling for the hard working business owners trying to work within the free enterprise system. Thank You Kevin Fitch