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1 week ago |
jdsupra.com | Stephen Sharbaugh |Martin Stern
Readers may recall that in February 2024, the FCC adopted a Report and Order imposing a number of new TCPA caller and texter compliance obligations in connection with consumer revocation requests, which are applicable to calls and text messages that otherwise require consent under the TCPA and the FCC’s rules. Those rules are slated to go into effect on April 11, 2025.
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1 week ago |
natlawreview.com | Chris Edwards |James Plunkett |Martin Stern |Stephen Sharbaugh
Skip to main content April 13, 2025 Volume XV, Number 103 Legal Analysis. Expertly Written. Quickly Found.
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2 months ago |
jdsupra.com | Stephen Sharbaugh |Martin Stern
In yet a third setback for the FCC since the Supreme Court’s Loper Bright opinion eliminating Chevron deference, the 11th Circuit last Friday in Insurance Marketing Coalition Limited v. FCC, vacated two TCPA consent requirements that the FCC added in a December 2023 Report and Order to its prior express written consent definition for telemarketing robocalls and robotexts (shorthand for autodialed and artificial/pre-recorded voice calls and autodialed texts).
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Nov 13, 2024 |
mondaq.com | Stephen Sharbaugh |Martin Stern
In January 2024, the FCC adopted a Report and Order that closed the so-called
"lead generator loophole," and also included a number of
new consent-related requirements.
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Nov 12, 2024 |
jdsupra.com | Stephen Sharbaugh |Martin Stern
In January 2024, the FCC adopted a Report and Order that closed the so-called “lead generator loophole,” and also included a number of new consent-related requirements.
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Oct 17, 2024 |
mondaq.com | Martin Stern |Stephen Sharbaugh
In February 2024, the FCC adopted a Report and Order imposing a number of new TCPA
caller and texter compliance obligations in connection with
consumer revocation requests, which are applicable to calls and
text messages that otherwise require consent under the TCPA and the
FCC's rules. In an October 11, 2024 Public Notice, the FCC announced that it has
received Office of Management and Budget approval of the opt-out
rules, and that the rules will become effective on April
11, 2025.
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Oct 17, 2024 |
jdsupra.com | Stephen Sharbaugh |Martin Stern
In February 2024, the FCC adopted a Report and Order imposing a number of new TCPA caller and texter compliance obligations in connection with consumer revocation requests, which are applicable to calls and text messages that otherwise require consent under the TCPA and the FCC’s rules. In an October 11, 2024 Public Notice, the FCC announced that it has received Office of Management and Budget approval of the opt-out rules, and that the rules will become effective on April 11, 2025.
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Oct 17, 2024 |
natlawreview.com | Martin Stern
In February 2024, the FCC adopted a Report and Order imposing a number of new TCPA caller and texter compliance obligations in connection with consumer revocation requests, which are applicable to calls and text messages that otherwise require consent under the TCPA and the FCC’s rules. In an October 11, 2024 Public Notice, the FCC announced that it has received Office of Management and Budget approval of the opt-out rules, and that the rules will become effective on April 11, 2025.
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Oct 16, 2024 |
lexology.com | Martin Stern |Stephen Sharbaugh
In February 2024, the FCC adopted a Report and Order imposing a number of new TCPA caller and texter compliance obligations in connection with consumer revocation requests, which are applicable to calls and text messages that otherwise require consent under the TCPA and the FCC’s rules. In an October 11, 2024 Public Notice, the FCC announced that it has received Office of Management and Budget approval of the opt-out rules, and that the rules will become effective on April 11, 2025.
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Jul 30, 2024 |
natlawreview.com | Martin Stern
In April, the Federal Communications Commission (FCC or Commission) adopted its Net Neutrality Order which once again reclassified Broadband Internet Access Service (BIAS) as a Title II, common carrier service.