Comment Number: OL-105800
Received: 12/4/2004 3:13:44 PM
Organization:
Commenter: Emilio Falco
State: AZ
Subject: Trade Regulation Rule on Telemarketing Sales
Title: Notice of Proposed Rulemaking, Request for Comment
CFR Citation: 16 CFR Part 310
No Attachments

Comments:

The TSR should not be amended. We finally have some peace and quiet. The FTC should not start whittling away at a rule that works. If it does, it will be the start of a slippery slope that will eventually result in nullification of the TSR. If it does, the FTC will be seen as beholden to the interests of the DMA, rather than defending the consumers as it should.