Companies with B2C or B2B recurring payment programs that include negative option terms now have until July 14, 2025, to ensure their disclosure, consent, and cancellation practices are compliant with the Negative Option...more
Companies with B2C or B2B recurring payment programs that include negative option terms should review their disclosure, consent, and cancellation practices to ensure compliance with the rule....more
5/9/2025
/ Auto-Renewal ,
Automatic Renewals ,
B2B Transactions ,
Compliance ,
Consumer Protection Laws ,
Disclosure Requirements ,
Enforcement Actions ,
Federal Trade Commission (FTC) ,
Final Rules ,
FTC Act ,
Negative Option Rule ,
Regulatory Requirements ,
Subscription Services ,
Unfair or Deceptive Trade Practices
Companies interested in the scope of environmental marketing claims and mitigating potential litigation risks should act fast as the window for comments is closing soon.
Latham & Watkins presents a blog series on the...more
Following recent setbacks, the FTC seeks a foothold for monetary remedies in the online advertising space.
On October 13, 2021, the Federal Trade Commission (FTC) sent a Notice of Penalty Offenses Concerning Endorsements...more