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New York City
(212) 502-7960
Scottsdale(480) 275-
9797
Copyright © 2008 Amanda Vega Consulting, All Rights Reserved.
BOLO 2010
Social Media: Compliance Considerations
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Amanda Vega20 years online experienceService agencies and clients alikeMBA, ColumbiaNY, Phoenix, Dallas, ShanghaiPR, social media, compliance, webwww.amandavega.comwww.PRinaJar.comwww.mommybloggerseminars.comPink Porsche owner, pug lover, red bottom shoe zealot
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Amanda Vega Cont…
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The Social Media Bible - contributor
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Some of Our Clients
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Some Key PointsNo other agencies have internal compliance department• Licensing requires sponsorship
(Series 7, 63 needs a broker dealer)• Very expensive to maintain internally
Compliance spans social as well as print, etc.Everyone has some regulation – FTC at the leastCrackdowns happening NOW
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Regulatory BodiesFTC: all communication, advertising, marketingFDA: pharmaceuticals, nutraceuticals, some supplements, cosmetics, etc.FINRA: publicly traded companies, broker dealers, financial services companies AND individualsHIPAA: hospitals, physicians (and groups)GLBAUK LawsInternal risk controls (internal auditing, risk to data)
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FTCOctober 2009 Changes• Celebrity endorsements, testimonials,
social media endorsements
Must disclose relationship to product/clientMust disclose if product was freeDoesn’t have to be in each post• Put in profile
Celebs have to disclose they are paid• Twitter wasn’t covered so no case on
this YET
Some employment considerations
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FTC ContinuedNo more safe harbor with “results not typical”• Actual results have to be accessible
Disclosing of material connections• If blogger gets paid you have to
disclose
No false and misleading claimsDisclosure of use of company sponsored researchLiability for affiliates and other resellers is now on company
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FTC ViolationsBanana Republic• Internal “intern” was posting “ad
heavy commentary” on fashion blogs• Did not disclose she worked for BR• Fine: $5,000 (pending)
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FDADisease claims• Cannot say cure, treat, mitigate, or
prevent• Say “alleviate the symptoms of…”
Adequate substantiation of structure/function claims• If you say an ingredient does X, you
have to have studies proving that
Adequate substantiation of other statements• If you say “few or no side effects”
have proof• If you say this online, you are open
for product liability and personal injury claims
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FDA ContinuedUse of Testimonials• When you allow testimonials you
accept liability of that person’s claims, period
Link to third-party literature• For anything you link to, you adopt all
of the claims
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FDA ViolationsFirst Juice and 3 other small juice companies asked to change all labels saying “half sugar”• Big brands were not attacked – more
lobbyists• All brands had links to research/tests
proving claims• FJ fought back and won the claim
Pharmaceutical company fined for fake testimonials posted in social media by their PR firm• Use REAL people with disclosure
instead
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FINRAOctober 2010 changes – VERY SEVERERecord keeping and reporting• You must archive/save all social/email
for 3 years
Communication online is considered same as in personAdvertisement versus correspondence• Tweets and blogposts on your blog
are considered advertisements• DM’s/email considered
correspondence• Ads need pre-approval,
correspondence needs review
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FINRA ContinuedOversight into activities• Compliance can regulate any
offerings as part of oversight• They cannot regulate your personal
hobbies unles industry related
Customer service• Try not to handle full issues back and
forth on Twitter – chain leads to harder protection
• Cannot help with account specifics online
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FINRA ViolationsCoca-Cola• Assistant posted to Twitter “it’s a
great day. Boss in meeting with XYZ all day. Quiet.”
• XYZ = competitor COO• Day traders went crazy thinking there
was going to be a merger• SEC came in and filed compliance
violation• Keep in mind – her actions were NOT
in violation of their internal policy OR any regulation
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HIPAAAbout 500 of 6,000 hospitals are using socialDo not ever list a patients name or picture anywhereFriending patients on Facebook puts you into grey area – interaction can be confirmation of relationship which is violationYou can help people, but make disclosure in profile and posts
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HIPAA ViolationsMedical resident twitpic’d photo of his first set of stitches• A part of a tattoo was showing –
therefore showing identity which is a violation
• $10K fine to hospital• Social media wasn’t included in their
training
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Internal RisksSocial networking sites are the
most vulnerable category of Web sites 82% of social networking sites have an urgent,
critical or high severity vulnerability - May 2009 WhiteHat Security
“ It is not a risk that someone will do something dumb someday. Actually, it’s a certainty.”
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Long Tail is Forgotten
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It’s NOT Locked Down!
95% of companies have Anti-virus and 85% of companies have URL filters in place, but 30% of companies have bots on their networks and 40% still have viral infections Most financial institutions consider access “locked down” when it isn’tPCI data and monitoring is NOT enoughThere are too many sites created daily for the crawlers and enforcers to keep with
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Reputation Risk Reputation Risk
74% of employed Americans believe it is easy to damage a brand’s reputation via sites such as Facebook,Twitter, and YouTube.
Fifty-eight percent of executives agree that reputational risk and social networking should be a board room issue, but only 15% say it actually is.
Only 22% of companies have policies on how employees can use social networking tools
53% of employees think their social networking pages are none of their employers business
(Deloitte LLP 2009 Ethics & Workplace Survey results)
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Bottom Line…Risk vs. Reward – you have to
evaluateA good policy is your strongest
assetYou MUST have a social media
expert AND a compliance, IT, HR, and marketing person involved – the knowledge of each is imperative to be collectively used