The CAN SPAM Act: A Compliance Guide For Business PE Bus61 Act

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FEDERAL TRADE COMMISSION

FTC FACTS

for Business

The CAN-SPAM Act:
A Compliance Guide for Business

D

o you use email in your business? The CAN-SPAM Act, a law that sets the rules for
commercial email, establishes requirements for commercial messages, gives recipients

the right to have you stop emailing them, and spells out tough penalties for violations.
Despite its name, the CAN-SPAM Act doesn’t apply just to bulk email. It covers all commercial
messages, which the law defines as “any electronic mail message the primary purpose of which
is the commercial advertisement or promotion of a commercial product or service,” including
email that promotes content on commercial websites. The law makes no exception for business-tobusiness email. That means all email – for example, a message to former customers announcing a
new product line – must comply with the law.
Each separate email in violation of the CAN-SPAM Act is subject to penalties of up to $16,000, so
non-compliance can be costly. But following the law isn’t complicated.

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Facts for Business

Here’s a rundown of CAN-SPAM’s main requirements:
1. Don’t use false or misleading header information. Your “From,” “To,” “ReplyTo,” and routing information – including the originating domain name and email
address – must be accurate and identify the person or business who initiated the
message.
2. Don’t use deceptive subject lines. The subject line must accurately reflect the content
of the message.
3. Identify the message as an ad. The law gives you a lot of leeway in how to do this,
but you must disclose clearly and conspicuously that your message is an advertisement.
4. Tell recipients where you’re located. Your message must include your valid physical
postal address. This can be your current street address, a post office box you’ve
registered with the U.S. Postal Service, or a private mailbox you’ve registered with a
commercial mail receiving agency established under Postal Service regulations.
5. Tell recipients how to opt out of receiving future email from you. Your message
must include a clear and conspicuous explanation of how the recipient can opt out
of getting email from you in the future. Craft the notice in a way that’s easy for an
ordinary person to recognize, read, and understand. Creative use of type size, color,
and location can improve clarity. Give a return email address or another easy Internetbased way to allow people to communicate their choice to you. You may create a menu
to allow a recipient to opt out of certain types of messages, but you must include the
option to stop all commercial messages from you. Make sure your spam filter doesn’t
block these opt-out requests.
6. Honor opt-out requests promptly. Any opt-out mechanism you offer must be able to
process opt‑out requests for at least 30 days after you send your message. You must
honor a recipient’s opt‑out request within 10 business days. You can’t charge a fee,
require the recipient to give you any personally identifying information beyond an
email address, or make the recipient take any step other than sending a reply email
or visiting a single page on an Internet website as a condition for honoring an opt-out
request. Once people have told you they don’t want to receive more messages from
you, you can’t sell or transfer their email addresses, even in the form of a mailing list.
The only exception is that you may transfer the addresses to a company you’ve hired to
help you comply with the CAN‑SPAM Act.
7. Monitor what others are doing on your behalf. The law makes clear that even if
you hire another company to handle your email marketing, you can’t contract away
your legal responsibility to comply with the law. Both the company whose product is
promoted in the message and the company that actually sends the message may be held
legally responsible.

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Facts for Business

Need more information?
Here are the answers to some questions businesses have had about complying with the CAN-SPAM Act.
Q. How do I know if the CAN-SPAM Act covers email my business is sending?

A. What matters is the “primary purpose” of the message. To determine the primary purpose, remember
that an email can contain three different types of information:
• Commercial content – which advertises or promotes a commercial product or service, including
content on a website operated for a commercial purpose;
• Transactional or relationship content – which facilitates an already agreed-upon transaction or
updates a customer about an ongoing transaction; and
• Other content – which is neither commercial nor transactional or relationship.
If the message contains only commercial content, its primary purpose is commercial and it must comply
with the requirements of CAM-SPAM. If it contains only transactional or relationship content, its primary
purpose is transactional or relationship. In that case, it may not contain false or misleading routing
information, but is otherwise exempt from most provisions of the CAN-SPAM Act.
Q. How do I know if what I’m sending is a transactional or relationship message?

A. The primary purpose of an email is transactional or relationship if it consists only of content that:
• facilitates or confirms a commercial transaction that the recipient already has agreed to;
• gives warranty, recall, safety, or security information about a product or service;
• gives information about a change in terms or features or account balance information regarding a
membership, subscription, account, loan or other ongoing commercial relationship;
• provides information about an employment relationship or employee benefits; or
• delivers goods or services as part of a transaction that the recipient already has agreed to.
Q. What if the message combines commercial content and transactional or relationship content?

A. It’s common for email sent by businesses to mix commercial content and transactional or relationship
content. When an email contains both kinds of content, the primary purpose of the message is the
deciding factor. Here’s how to make that determination: If a recipient reasonably interpreting the subject
line would likely conclude that the message contains an advertisement or promotion for a commercial
product or service or if the message’s transactional or relationship content does not appear mainly at
the beginning of the message, the primary purpose of the message is commercial. So, when a message
contains both kinds of content – commercial and transactional or relationship – if the subject line would
lead the recipient to think it’s a commercial message, it’s a commercial message for CAN-SPAM
purposes. Similarly, if the bulk of the transactional or relationship part of the message doesn’t appear at
the beginning, it’s a commercial message under the CAN-SPAM Act.

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Facts for Business

Here’s an example:
MESSAGE A:

MESSAGE B:

TO: Jane Smith

TO: Jane Smith

FR: XYZ Distributing

FR: XYZ Distributing

RE: Your Account Statement

RE: Your Account Statement

We shipped your order of 25,000 deluxe
widgets to your Springfield warehouse on
June 1st. We hope you received them in
good working order. Please call our Customer
Service Office at (877) 555-7726 if any widgets
were damaged in transit. Per our contract, we
must receive your payment of $1,000 by June
30th. If not, we will impose a 10% surcharge for
late payment. If you have any questions, please
contact our Accounts Receivable Department.

We offer a wide variety of widgets in the most
popular designer colors and styles – all at low,
low discount prices. Visit our website for our
exciting new line of mini-widgets!

Visit our website for our exciting new line of
mini-widgets!

Your order has been filled and will be delivered
on Friday, June 1st.

MESSAGE A is most likely a transactional
or relationship message subject only to
CAN-SPAM’s requirement of truthful routing
information. One important factor is that
information about the customer’s account is
at the beginning of the message and the brief
commercial portion of the message is at the
end.

MESSAGE B is most likely a commercial
message subject to all CAN-SPAM’s
requirements. Although the subject line is “Your
Account Statement” – generally a sign of a
transactional or relationship message – the
information at the beginning of the message is
commercial in nature and the brief transactional
or relationship portion of the message is at the
end.

Sizzling Summer Special: Order by June 30th
and all waterproof commercial-grade superwidgets are 20% off. Show us a bid from one
of our competitors and we’ll match it. XYZ
Distributing will not be undersold.

Q. What if the message combines elements of both a commercial message and a message with
content defined as “other”?

A. In that case, the primary purpose of the message is commercial and the provisions of the CAN-SPAM
Act apply if:
• A recipient reasonably interpreting the subject line would likely conclude that the message advertises
or promotes a commercial product or service; and
• A recipient reasonably interpreting the body of the message would likely conclude that the primary
purpose of the message is to advertise or promote a product or service.
Factors relevant to that interpretation include the location of the commercial content (for example, is it at
the beginning of the message?); how much of the message is dedicated to commercial content; and how
color, graphics, type size, style, etc., are used to highlight the commercial content.

5

Facts for Business

Q. What if the email includes information from more than one company? Who is the “sender”
responsible for CAN-SPAM compliance?

A. If an email advertises or promotes the goods, services, or websites of more than one marketer, there’s
a straightforward method for determining who’s responsible for the duties the CAN-SPAM Act imposes
on “senders” of commercial email. Marketers whose goods, services, or websites are advertised or
promoted in a message can designate one of the marketers as the “sender” for purposes of CAN-SPAM
compliance as long as the designated sender:
• meets the CAN-SPAM Act’s definition of “sender,” meaning that they initiate a commercial message
advertising or promoting their own goods, services, or website;
• is specifically identified in the “from” line of the message; and
• complies with the “initiator” provisions of the Act – for example, making sure the email does
not contain deceptive transmission information or a deceptive subject heading, and ensuring that
the email includes a valid postal address, a working opt-out link, and proper identification of the
message’s commercial or sexually explicit nature.
If the designated sender doesn’t comply with the responsibilities the law gives to initiators, all marketers
in the message may be held liable as senders.
Q. My company sends email with a link so that recipients can forward the message to others.
Who is responsible for CAN-SPAM compliance for these “Forward to a Friend” messages?

A. Whether a seller or forwarder is a “sender” or “initiator” depends on the facts. So deciding if the
CAN-SPAM Act applies to a commercial “forward-to-a-friend” message often depends on whether the
seller has offered to pay the forwarder or give the forwarder some other benefit. For example, if the seller
offers money, coupons, discounts, awards, additional entries in a sweepstakes, or the like in exchange for
forwarding a message, the seller may be responsible for compliance. Or if a seller pays or give a benefit
to someone in exchange for generating traffic to a website or for any form of referral, the seller is likely
to have compliance obligations under the CAN-SPAM Act.
Q. What are the penalties for violating the CAN-SPAM Act?

A. Each separate email in violation of the law is subject to penalties of up to $16,000, and more than one
person may be held responsible for violations. For example, both the company whose product is promoted
in the message and the company that originated the message may be legally responsible. Email that makes
misleading claims about products or services also may be subject to laws outlawing deceptive advertising,
like Section 5 of the FTC Act. The CAN-SPAM Act has certain aggravated violations that may give rise
to additional fines. The law provides for criminal penalties – including imprisonment – for:
• accessing someone else’s computer to send spam without permission,
• using false information to register for multiple email accounts or domain names,
• relaying or retransmitting multiple spam messages through a computer to mislead others about the
origin of the message,
• harvesting email addresses or generating them through a dictionary attack (the practice of sending
email to addresses made up of random letters and numbers in the hope of reaching valid ones), and
• taking advantage of open relays or open proxies without permission.

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Facts for Business

Q. Are there separate rules that apply to sexually explicit email?

A. Yes, and the FTC has issued a rule under the CAN-SPAM Act that governs these messages. Messages
with sexually oriented material must include the warning “SEXUALLY-EXPLICIT:” at the beginning of
the subject line. In addition, the rule requires the electronic equivalent of a “brown paper wrapper” in the
body of the message. When a recipient opens the message, the only things that may be viewable on the
recipient’s screen are:
• the words “SEXUALLY-EXPLICIT:”; and
• the same information required in any other commercial email: a disclosure that the message is an ad,
the sender’s physical postal address, and the procedure for how recipients can opt out of receiving
messages from this sender in the future.
No graphics are allowed on the “brown paper wrapper.” This provision makes sure that recipients cannot
view sexually explicit content without an affirmative act on their part – for example, scrolling down or
clicking on a link. However, this requirement does not apply if the person receiving the message has
already given affirmative consent to receive the sender’s sexually oriented messages.
Q. How can I comment about the effect of the CAN-SPAM Act on my business?

A. The National Small Business Ombudsman collects comments from small businesses about federal
compliance and enforcement activities. To comment, call 1-888-REG-FAIR (1-888-734-3247) or visit
www.sba.gov/ombudsman.

For More Information
The FTC works for the consumer to prevent fraudulent, deceptive, and unfair business practices in
the marketplace and to provide information to help consumers spot, stop, and avoid them. To file a
complaint or to get free information on consumer issues, visit ftc.gov or call toll-free, 1-877-FTC-HELP
(1‑877‑382-4357); TTY: 1-866-653-4261. The FTC enters consumer complaints into the Consumer
Sentinel Network, a secure online database and investigative tool used by hundreds of civil and criminal
law enforcement agencies in the U.S. and abroad.

Your Opportunity to Comment
The National Small Business Ombudsman and 10 Regional Fairness Boards collect comments from small
businesses about federal compliance and enforcement activities. Each year, the Ombudsman evaluates the
conduct of these activities and rates each agency’s responsiveness to small businesses. Small businesses
can comment to the Ombudsman without fear of reprisal. To comment, call toll-free 1-888-REGFAIR
(1‑888-734-3247) or go to www.sba.gov/ombudsman.
FEDERAL TRADE COMMISSION

ftc.gov

1-877-FTC-HELP

FOR THE CONSUMER

Federal Trade Commission
Bureau of Consumer Protection
Division of Consumer and Business Education
September 2009



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