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« FTC Hosting Fraud Prevention Forums: Identity Theft Demographics | Main | Patient Data Theft & HIPAA Implications »

FTC Continues Course With More Compliance Activities and Fines: CAN-SPAM and the Adult Labeling Rule

Today the FTC announced, "FTC Puts a Permanent Halt to Illegal Spamming Operations" in a press release about some actions, fines and penalties they just made.

A high-level summary of the judgments:

  • Violations of the CAN-SPAM Act and the Adult Labeling Rule will cost Cleverlink Trading Limited $398,000 (Actual judgment was $2,635,000.00; the judgment was suspended except for: (1) $303 000 to be paid to the FTC (2) $95,000 to be deposited by Defendant Muir into an escrow account to facilitate tax payments, but the full amount could be reinforced if all conditions of the judgment are not met) plus a freeze on their corporate assets, plus implementing various types of compliance activities and documentation on an ongoing basis for the next 3 and 6 years to confirm their compliance. 
  • Violations of CAN-SPAM will cost Zachary Kinion $151,001.64 ("suspended because of his inability to pay," but the full amount could be reinforced if all conditions of the judgment are not met) plus implementing various types of compliance activities and documentation on an ongoing basis for the next 3 and 6 years to confirm their compliance.   
  • Violations of CAN-SPAM and the Adult Labeling Rule will cost William Dugger, Angelina Johnson, and John Vitale $8,000 (the defendants were liable for $597,166, but it was reduced to the amount in the defendants bank accounts, but the full amount could be reinforced if all conditions of the judgment are not met) plus implementing measures to obtain permissions.  They also had a freeze on their corporate assets, plus implementing various types of compliance activities and documentation on an ongoing basis for the next 5 and 8 years to confirm their compliance. 
  • Violations of CAN-SPAM will cost BM Entertainment and B Pimp $24,193 ("suspended because of his inability to pay," but the full amount could be reinforced if all conditions of the judgment are not met). The owner of the organizations also pleaded guilty to criminal charges related to spam and unauthorized possession of access devices and is awaiting sentencing.  He must also implement various types of compliance activities and documentation on an ongoing basis for the next 3 and 6 years to confirm his compliance.    

At first glance the suspensions of the fines are disappointing.  However, considering the asset freezes and also ongoing monitoring and reporting, with the possibility of having the original fines reinstated, this seems reasonable.

CAN-SPAM actually has had quite a bit of compliance activity since it has been inacted, along with the Adult Labeling Rule.

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Rebecca Herold's Bio:

Rebecca Herold,CISSP, CIPP, CISM, CISA, FLMI, has been providing information security, privacy and regulatory assistance and services to organizations from a wide range of industries for over 18 years. Rebecca was instrumental in building the information security and privacy program while at Principal Financial Group, which was awarded the CSI Information Security Program of the Year Award in 1998. IT Security ranked Rebecca as one of the top 59 IT security influencers, and Computerworld put Rebecca their list of the 25 top privacy experts and on their list of the 9 best privacy consulting firms. Rebecca has been CPO for two consulting organizations, and has had her own information privacy, security and compliance business since 2004. Rebecca has written chapters for several books, dozens of articles, and has been writing a monthly privacy column for the CSI Alert newsletter since the beginning of 2001, and is working on her 11th book. Some of her other books include The Privacy Papers, Managing an Information Security and Privacy Awareness and Training Program, The Definitive Guide to Security Inside the Perimeter (Realtime Publishers), The Shortcut Guide to Improving IT Service Support through ITIL (Realtime Publishers), and The Practical Guide to HIPAA Privacy and Security Compliance. In addition, Rebecca is the leader of The Realtime IT Compliance Community where she posts to her IT Compliance weblog. You can contact Rebecca at: rebecca_herold@realtimepublishers.net.