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December 22 2011
Instant win sweepstakes and contests
sweepstakes and contestsThe company of Rascal Scooters recently settled charges brought through the Federal Trade Commission that it illegally called millions of consumers whose numbers were registered relating to the national Do Not Call Registry. Sweepstakes, competitive events, and similar promotional tools are commonly used to compile lists of prospective customers. With EMC's case, it heavily promoted its sweepstakes through direct mail, print ads, and television ads, which drew millions of consumers to finish an entry form. Your entry form required consumers to make their phone number, and so the company could contact them if they were "the next fortunate winner. "
Armed with this list of numbers, within the last several years EMC made innumerable telemarketing calls to consumers who entered the sweepstakes, several of whom were registered in the DNC. When the FTC came up knocking, EMC had an excuse.
The FTC's Telephone selling Sales Rule allows a corporation to call a consumer over the Do Not Call Registry for about 18 months if it has an "established business relationship" along with the consumer and the individual has not asked the firm to cease calling. EMC argued that this consumer's submission of a completed entry form, and EMC's acceptance of the entry, created an "established method of trading, " which the calls in question were therefore exempt in the DNC restrictions.
Unfortunately for EMC, a sweepstakes entry independently is not sufficient to determine a business relationship to arrange the DNC exemption. In truth, this FTC has consistently maintained the position that simply obtaining a consumer's contact number - without anything more- does not establish a relationship that would exempt a marketer from the Do Not Call principles.
What EMC could have done was to create a different entry mechanism for its sweepstakes to enable it to depend upon the "Written Permission to Call" exemption to your Telemarketing Sales Rule.
The Published Permission exemption permits dealers to call any consumer who expressly agrees to receive calls by or with respect to the seller, even if the consumer's number is in the DNC. Your consumer's express agreement ought to be in writing and must add number to which calls may very well be made and the consumer's trademark. The signature may be a valid electronic signature, in the event the agreement is reached online.
Obtaining a consumer's express written consent to take delivery of a telemarketing call can be a challenge, because to stick to the rule, every request to call must be "clear and conspicuous, " along with the consumer's assent must be affirmative.
But if you are generally focused, and focus with those sweepstakes alone, then since you just have so much time in a day, you have a excellent chance of winning the prizes you want.
3. Consistency is important. For example, daily sweepstakes are great, and provides some wonderful prizes, but you need to enter daily in order to boost your chances. You might want to enter on a regular basis to see results. Just like you didn't give up trying to learn how to ride a bike after the first try when you were a child, you shouldn't give up after just a few sweepstakes. Consistency is fundamental..
4. Tell your friends about your prize winnings and also the company that sponsored them! Although naturally, you would probably probably do that anyways, it is important to consider to mention the company.
Armed with this list of numbers, within the last several years EMC made innumerable telemarketing calls to consumers who entered the sweepstakes, several of whom were registered in the DNC. When the FTC came up knocking, EMC had an excuse.
The FTC's Telephone selling Sales Rule allows a corporation to call a consumer over the Do Not Call Registry for about 18 months if it has an "established business relationship" along with the consumer and the individual has not asked the firm to cease calling. EMC argued that this consumer's submission of a completed entry form, and EMC's acceptance of the entry, created an "established method of trading, " which the calls in question were therefore exempt in the DNC restrictions.
Unfortunately for EMC, a sweepstakes entry independently is not sufficient to determine a business relationship to arrange the DNC exemption. In truth, this FTC has consistently maintained the position that simply obtaining a consumer's contact number - without anything more- does not establish a relationship that would exempt a marketer from the Do Not Call principles.
What EMC could have done was to create a different entry mechanism for its sweepstakes to enable it to depend upon the "Written Permission to Call" exemption to your Telemarketing Sales Rule.
The Published Permission exemption permits dealers to call any consumer who expressly agrees to receive calls by or with respect to the seller, even if the consumer's number is in the DNC. Your consumer's express agreement ought to be in writing and must add number to which calls may very well be made and the consumer's trademark. The signature may be a valid electronic signature, in the event the agreement is reached online.
Obtaining a consumer's express written consent to take delivery of a telemarketing call can be a challenge, because to stick to the rule, every request to call must be "clear and conspicuous, " along with the consumer's assent must be affirmative.
But if you are generally focused, and focus with those sweepstakes alone, then since you just have so much time in a day, you have a excellent chance of winning the prizes you want.
3. Consistency is important. For example, daily sweepstakes are great, and provides some wonderful prizes, but you need to enter daily in order to boost your chances. You might want to enter on a regular basis to see results. Just like you didn't give up trying to learn how to ride a bike after the first try when you were a child, you shouldn't give up after just a few sweepstakes. Consistency is fundamental..
4. Tell your friends about your prize winnings and also the company that sponsored them! Although naturally, you would probably probably do that anyways, it is important to consider to mention the company.
