If your company advertises on the Internet, keep in mind that the Federal Trade Commission is watching and going after companies with online ads that it doesn't consider truthful and substantiated.
By its nature, the Internet combines aspects of print, television and radio, giving consumers a multi-media, interactive environment. This raises advertising issues that are unique even though the same FTC standards apply to online ads as they do to more traditional media. The guiding principle is truth and substantiation of claims.
Sounds easy enough. But when it comes down to the legal requirement of "clear and conspicuous" disclosure, it gets complicated.
Some online ads use only text while others are a combination of text, graphics, video and audio. To the FTC, the key is the overall impression the ad makes. The commission urges advertisers to adopt the stance of a reasonable consumer and remember that people don't generally read an entire Web site any more than they read every word on printed pages.
Typically, print ads disclose key material in small print at the bottom. This information is at the end of television or radio commercials. Online, you can choose between:
Carefully follow the FTC guidelines when designing Internet sales efforts. If you're unsure about meeting the regulations, get legal advice or an opinion letter from the FTC.
A public relations agency hired by video game developers settled FTC charges that it engaged in deceptive advertising by having employees pose as ordinary consumers posting game reviews. The reviewers did not disclose that the opinions came from paid employees working on behalf of the developers. (FTC File Number 0923199)
"Companies, including public relations firms involved in online marketing, need to abide by long-held principles of truth in advertising," said Mary Engle, Director of the FTC's Division of Advertising Practices. "Advertisers should not pass themselves off as ordinary consumers touting a product, and endorsers should make it clear when they have financial connections to sellers."
In its revised endorsements and testimonials guides, the FTC specifies that while decisions will be reached on a case-by-case basis, the online post by a person connected to the seller, or someone who receives cash or in-kind payment to review a product or service, should disclose the material connection the reviewer shares with the seller of the product or service. This applies to employees of both the seller and the seller's advertising agency.
The FTC allows linking to disclosure material, if you:
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