Although the entire Rule has been vacated, businesses offering negative option programs should remain aware of general unfair and deceptive advertising principles and applicable state law requirements.
KEY POINTS: On July...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
The rule impacts both B2B and B2C subscription autorenewals and other negative option programs; however, significant legal challenges could impact the rule’s implementation....more
1/16/2025
/ B2B Transactions ,
B2C ,
Compliance ,
Consumer Contracts ,
Consumer Financial Products ,
Disclosure Requirements ,
Enforcement Actions ,
Federal Trade Commission (FTC) ,
Final Rules ,
FTC Act ,
Regulatory Agenda ,
Regulatory Requirements ,
Subscription Services ,
Unfair or Deceptive Trade Practices
The new laws introduce novel applicability thresholds and other requirements that businesses should consider when preparing for compliance with US state privacy laws, including those coming into effect from 2023 onwards....more
Background -
2020 was a busy year on the global data privacy front, and marks the first full year of the California Consumer Privacy Act (CCPA). Businesses that posted their CCPA Privacy Policy in January 2020 will need...more