MESSAGING registration & compliance

Last updated over 3 years ago
11 questions
MISSION:
Help Local Business Thrive Through Convenient Customer Interaction
1

10DLC can help reduce bulk messaging costs and is compatible with new and existing local numbers.

1

10DLC can send automated messages and notifications.

1

What does it mean that Freshlime is a registered Campaign Service Provider?

1
Please put the registration procedure in the correct order. ___________________________________________________________________________________________________________________________________________________________________________________________________________ ______________________________________________________________________________________ ______________________________________________________________________________
Other Answer Choices:
The brand can now message end users via a high quality sanctioned process
The DCA uploads Number(s) with associated Campaign ID into their NNID in the OSR.
FreshLime (the CSP) registers your brand and campaigns on TCR and receives a unique Campaign ID. This operation is carried out with the information provided by the brand using the Registration Form.
DON'T FORGET THESE REGISTRATION REQUIREMENTS

Legal Company Name*
DBA or Brand Name (if different from the legal name)
What type of legal form is the organization?*
Publicly Traded Company
Private Company
Non-Profit Organization
Government
Sole Proprietor
Country of Registration*
Tax Number/ID/EIN*
Address*
City*
State*
Zip Code*
Country
Website
Stock Symbol
Stock Exchange
Vertical Type*
Support Email Address
Support Phone Number
1

Before sending a message you should ...

REMEMBER There are four guiding principles that provide a baseline for all requirements.
  1. Display clear calls-to-action. All calls-to-action must be clearly and unambiguously displayed. Consumers MUST be made aware of what they are signing up to receive relating to a specific program.
  2. Provide applicable consent mechanisms. Consistent with the consent requirements outlined in the A2P 10DLC and TCPA regulations, SMS programs MUST comply with the applicable consumer consent requirements, giving consumers sufficient control of the messages they receive.
  3. Send opt-in confirmation messages. A consumer’s opt-in MUST be confirmed in the first message sent to the consumer. For single-message programs, the confirmation message content may be part of a single message that the message sender after a consumer has opted-in. For recurring-message programs, confirmation messages MUST include clear opt-out instructions.
Acknowledge and honor opt-out requests. Message senders must acknowledge and act on all opt-out requests.
2

What should the call-to-action message include? Remember the Call-to-Action is the message that prompts the individual to opt-in to your SMS campaign. (Select all that apply)

1

If the consumer texts the business first and the business responds with information regarding the inquiry, permission is still required.

1

In order for a consumer to get a promotional text from a business they must have granted permission before recieving the text.

1

A consumer does NOT have to express permission to get an informational text from a business.

1

What are some productive opt-in methods?

Always Ensure You Are Practicing SMS Compliance

Acquiring express written consent should be a top focus for any business interested in SMS marketing. Cutting corners or overlooking these requirements isn’t worth the risk of fines and lawsuits.
Work closely with your legal advisors to maintain compliance with your text marketing advertising.
2

What does SHAFT stand for? If used in a call-to-action text what are the consequences?