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  1. Trusted Lead Generator Program Announced by iMediaEscrow.com http://www.prweb.com/releas...
  2. That's all for the FTC, good discussions and a few fiery questions. Sales Compliance is next from Loeb & Loeb
  3. Undercover calls are primary tool for FTC to investigate complaints
  4. Imperitive that Debt Settlement Cos provide statistics. Most FTC data comes from actual or complaints
  5. 3 major deceptions, Results, Fees and structure, Repercussions of suit, calls and credit worthiness
  6. FTC presentation on deceptive practices for the debt settlement industry.
  7. Punitive damages = 12 wonderful strangers deciding how to bankrupt you
  8. Montana registration requirement fair and equitable victory for the debt settlement industry
  9. Iowa new debt settlement law with fee caps, disclosure reqs for lead gen, and registration
  10. Colorado issued 14 actions for UDSMA violations last year
  11. Utah changed disclosure requirements under UDSMA
  12. California department of corporations lumps settlement under proraters law. Continues to issue desist and refrain orders.
  13. Civil Investigative demands by current MO AG. Volatile state with pending bill and investigative action.
  14. Missouri bill pending to enact specific requirements by mid month. Jay Nixon former MO Attorney General. Not in a rush to sign and enact.
  15. Time for state debt adjusting laws.
  16. Marketers and advertisers need to disclose third party blogs and enhancements for driving traffic
  17. Testimonial changes. Results marketed must be typical results
  18. Con sumer endorsements must represent generally expected performances or clarify if they are atypical. i.e. Results may vary
  19. FTC Red Flag rule requires companies to have data protection and security breech policies in addition to GLB.
  20. DSC's need to prepare to openly communicate statistics on enrollment, graduation, and fallout of programs