FCC’s TCPA
Updated: July 10, 2015 FCC’s 2015 TCPA Ruling
1. Consent
- Prior express written consent requires a signed agreement conspicuously disclosing that the caller is authorized to send messages to a designated phone number through an automatic dialing system.
- Consumers may revoke consent by any reasonable means, and marketers are not allowed to restrict the manner in which consumers may withdraw consent.
- Companies are expected to maintain complete records demonstrating consumer consent.
2. Autodialer
- An automatic telephone dialing system (ATDS or autodialer) is defined as any equipment that can be used to store, produce, and dial numbers for telephone calls, including text and Internet-to-phone messages.
- Even a manually dialed call or text by use of an ATDS is considered autodialed.
- Autodialed communications require prior express consent except in cases of emergency.
3. Call/Text Initiation
- A person or entity must take direct physical steps to cause an autodialer communication or be substantively involved in initiating it in order to be legally responsible for the call or text.
- The provider of an app with auto-reply capabilities is not responsible for replies set by an end user.
- An app provider is considered the initiator of invitation texts sent automatically (with little or no control by an end user) to contacts in the user’s phone. The mere existence of a contact number in a user’s phone does not demonstrate the contact’s consent to messaging.
4. Reassigned Numbers
- In the case of a phone number that has been reassigned from a consenting recipient to a new user (i.e., someone who has not consented to calls or messaging), the new user must consent to any further contact.
- The calling party has a one-call window to ascertain that the number has been reassigned. Any contact after this initial call or message is subject to penalty under the TCPA.
5. One-Time Autoresponses
- One-off automated text responses to consumer requests are allowed without usual disclosures because the texts are fulfillment messages, not unwanted promotional material.
- Such a text message is TCPA-compliant if it meets the following requirements.
- It is requested by the consumer.
- It is an immediate, one-time response.
- It contains only the requested information and no other marketing or advertising.
- To use the captured phone numbers for any future automated messaging, the calling party must disclose the usual messaging details and secure express written consent to such messaging.
6. Urgent Consumer-Protection Messages
- The TCPA ruling exempts certain finance- and healthcare-related communications from the prior-consent requirement because they are generally expected and desired by consumers.
- Financial service providers may call or message without prior consent to inform consumers of urgent matters such as fraud, identity theft, and money transfers.
- The order also exempts healthcare-treatment calls and messages such as those for test results, appointment confirmations and reminders, prescription notifications, and preoperative and home-care instructions.
This notice is provided for strictly informational purposes and in no way should be taken as legal advice. Trum·pia makes no claim as to the completeness or legal definitiveness of this material. We encourage you to review the complete FCC document and to seek legal counsel for any prospective action related to this ruling.
Updated: October 16, 2013 Revised Rule Under Telephone Consumer Protection Act (TCPA)
Please be informed that a revised rule under the Telephone Consumer Protection Act (TCPA) went into effect on 10/16/13 that requires “prior express written consent” for text or voice messages sent to phones for solicitation purposes. THIS IS NOT INTENDED TO BE LEGAL ADVICE, YOU SHOULD CONSULT WITH YOUR LEGAL COUNSEL FOR SPECIFIC STEPS TO TAKE.
AS A RESULT OF THIS CHANGE, IF YOU HAVE ANY IMPORTED OR MANUALLY ADDED CONTACTS IN YOUR DISTRIBUTION LIST, YOU WILL HAVE TO GO THROUGH THE IMPORT CERTIFICATION PROCESS AGAIN TO MEET MORE STRINGENT QUALIFICATION RULES EVEN IF YOU HAVE ALREADY SENT US YOUR IMPORT CONTACT IN THE PAST.
For any questions regarding TCPA revised rule, please contact our support team at +1 888-707-3030 or email
Support@Trumpia.com.