January 31, 2023 — Comments

Comments in response to the Federal Trade Commission’s November 25, 2022 advance notice of proposed rulemaking on the Business Opportunity Rule.

This comment addresses why the Business Opportunity Rule is necessary, how the FTC is properly using its authority to review and potentially expand the scope of the Business Opportunity Rule, and how enhancing the Business Opportunity Rule to include currently expanding business opportunity enterprises, such as work-from-home, ecommerce, and investment mentorship opportunities, would help protect consumers.

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