Comment Number: OL-102334
Received: 11/27/2004 9:50:49 PM
Organization:
Commenter: Christopher Warner
State: FL
Subject: Trade Regulation Rule on Telemarketing Sales
Title: Notice of Proposed Rulemaking, Request for Comment
CFR Citation: 16 CFR Part 310
No Attachments

Comments:

Why should there be a "telemarketing safe harbor" for a do not call list? I applaud the FTC for their ability to protect the consumer, and the DNC list has worked very well so far. The ability to send unsolicited "phone spam" messages and no way to "unsubscribe" is unacceptable. If a company wishes to inconvenience their customers with a barrage of messages that would be "unprofitable" with human voice, perhaps their message was absolutely useless to begin with. Please do not allow this cowardly attempt at circumvention to succeed. Thank you for your attention.