Recent Posts

I can see clearly now

It’s helpful when advertisers can get a window into the FTC’s thinking about certain ad claims — and five recent settlements with companies that sell replacement windows offer just that.

According to the FTC, the businesses made exaggerated and unsupported representations about the energy efficiency of their windows, and about how much money people could save on their heating and cooling bills by having them installed. What did the ads say? Things like:

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Fast forward

Dot Com Disclosures — the FTC’s staff publication about online advertising — was published 12 years ago. Of course, the same basic consumer protection principles apply online, in mobile marketing, and in other media, but a lot has happened since then.  In light of technological changes, is it time for revised guidance about making disclosures required by FTC law?

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FTC staff issues report on mobile apps for kids

For some, a discussion of childhood and technology brings back fond memories of Easy Bake Ovens and Rock ‘Em Sock ‘Em Robots. But like their parents, these kids today (Didn’t we swear we’d never use the phrase "these kids today"?) are embracing the opportunities presented by smartphones, tablets, and the burgeoning app market. But what about the privacy considerations when children and teens use apps?

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Clothes encounters of the thread kind

OK, OK. We can hear your groans through the speakers. But if you’re in the textile or apparel industry, you’ll want to know that the FTC is asking for public comment on the future of the Wool Products Labeling Rules.

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Let’s hope it doesn’t get to this, but . . .

When the FTC conducts an investigation to see if a company has violated the law, it’s important that the process is efficient and not unduly burdensome on those involved.  The FTC’s Rules of Practice lay out the procedures the Commission follows.

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