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17 Jul 2014, 12:35 pm by Lindsey Tonsager
The FTC staff has posted revisions to three Frequently Asked Questions (“FAQs”) related to obtaining verifiable parental consent under its COPPA Rule. [read post]
30 Sep 2015, 10:09 am by Ngai Zhang
Accordingly, the FTC need not necessarily define what constitutes adequate or inadequate cybersecurity by rule, regulation or guidance. [read post]
Accordingly, the makers of children’s IoT products that otherwise might benefit from the FTC’s nonenforcement policy may still be stifled by the threat of civil lawsuits under state law. [read post]
9 Dec 2015, 12:38 pm by Alan L. Friel and Daniel Goldberg
The FTC Workshop The FTC workshop was an information-gathering exercise carried out by the FTC that involved participation from various panelists, FTC staff, and Chairwoman Edith Ramirez. [read post]
19 Aug 2024, 5:00 am by Rush Nigut
By staying informed about the FTC’s rule, you can proactively revise contracts and policies, avoiding costly legal disputes and potential penalties. [read post]
28 Dec 2011, 5:47 am by Alan Hartman
Go to the FTC’s business legal resources page at http://business.ftc.gov/legal-resources/5/33 for more information. [read post]
29 Sep 2017, 10:43 am by Adam Cooke
It also remains to be seen whether the FTC will tweak the theory of harm underlying its unfairness claim in an effort to satisfy the FTC Act’s injury requirement. [read post]
29 Sep 2017, 10:43 am by Adam Cooke
It also remains to be seen whether the FTC will tweak the theory of harm underlying its unfairness claim in an effort to satisfy the FTC Act’s injury requirement. [read post]
7 Oct 2009, 12:14 pm
Second, it demonstrates that completed deals that slip beneath the FTC's radar screen initially are fair game even if the FTC learns about them later. [read post]
22 Sep 2010, 11:31 am by FDABlog HPM
  Although the FTC Act authorizes the FTC to define the standard for substantiation, POM points out that the FTC must follow the proper process of notice and comment rulemaking, which the FTC has not done. [read post]
21 Mar 2017, 7:01 pm by Gene Takagi
The post FTC/NASCO Conference on Consumers, Contributions and Charity appeared first on Nonprofit Law Blog. [read post]
12 Nov 2014, 4:00 am by Mark Brennan and Timothy Tobin
The FTC, in its warning letters, provided several examples of mistakes made by advertisers. [read post]
22 Apr 2009, 6:59 am
Because ARRA does not limit the FTC's enforcement authority to its enforcement jurisdiction under Section 5 of the FTC Act, the proposed FTC Rule would apply to these entities whether or not they would otherwise fall within the scope of the FTC's regulatory jurisdiction. [read post]
30 Apr 2018, 7:52 am by Hunton Andrews Kurth LLP
The modifications are based on the fact that Uber failed to notify the FTC of a November 2016 breach, which took place during the time that the FTC was investigating an earlier, 2014 Uber breach. [read post]
16 Dec 2010, 11:58 am by FDABlog HPM
  According to FTC’s press release, “FTC worked in close coordination with 39 state attorneys general” who are also settling their inquiries into Dannon’s advertising to the tune of $21 million - a welcome infusion to cash-strapped states. [read post]
24 Sep 2014, 1:34 pm by Stacy K. Marcus
The FTC cautioned, “advertisers who did not receive a letter should not assume that their advertisements are fine. [read post]