Code of Conduct for Mobile Marketing
Privacy Advisory Committee members Carat Interactive, Cingular Wireless, Procter
& Gamble, PocketChoice, The Weather Channel, and VeriSign developed this
Code of Conduct. It was ratified by the board of directors on November 3, 2003.
The Mobile Marketing Association Privacy Advisory Committee realizes the need
for a Code of Conduct that is both universal in principle and industry specific
in its application. Industries touched by this Code of Conduct are: content
providers, carriers, technology providers, advertisers, and brands. This code
is intended to provide guidelines by which companies market their products and
services to consumers. It is not, however, intended to regulate a wireless carrier's
ongoing proprietary communication with its current base of subscribers.
In building this code of conduct, we realize that: 1) mobile device marketing
has proven to be the most effective means of consumer interaction; 2) marketing
on mobile devices is a personal communication with the consumer that must be
handled with care for it to succeed; 3) systematic abuses among a minority of
marketers caused consumer backlash against all marketers; 4) that current internet
privacy policy and verification initiatives may not be effective with mobile
marketing; and 5) that mobile device marketing can be made profitable for both
consumers and marketers through a strong Code of Conduct backed by a unified
industry
Summary
The Code of Conduct is divided into six categories: choice, control, customization,
consideration, constraint and confidentiality.
Choice
Consumers must opt-in to all mobile messaging programs. Consumers may opt-in
to a program by sending a text message, calling a voice response unit, registering
on a website, or through some other legitimate paper-based method; they opt-in
for a specific program only. Choice doesn't carry forward unless the consumer
is part of a brand loyalty program whose opt-in registration clearly provides
for on-going communications. Even then, the consumer's desire to participate
must be validated at the beginning of a new messaging program. Segmentation-based
marketing (by interests, demographics, etc.) and location-based marketing is
prohibited unless the consumer clearly opted-in to receive the campaigns by
giving personally identifiable information that is verifiable with their identity.
Control
Consumers must also be allowed to easily terminate -- opt-out -- their participation
in an ongoing mobile messaging program through channels identical to those through
which they can opt-in to a given program. Programs with multiple message strings
must provide an opt-out option for each message.
Customization
As mobile messaging campaigns are most effective when appropriately targeted,
consumers could be asked to provide demographic, preferences and other information.
All "follow on" communications targeted at an existing opt-in universe
should be encouraged to use this data to optimize message volumes, redemption
rates, and return-on-investment -- plus restrict communications to those categories
specifically requested by the consumer.
Consideration
The consumer must receive and/or be offered something of value to them in return
for receiving the communication. Value may be delivered in the form of product
and service enhancements, reminders, sweepstakes, contests, information, entertainment,
discounts or location-based services
Constraint
The marketer, content provider, or aggregator must provide a global "throttling
mechanism" capable of managing the number of messages received by an individual
consumer. The purpose of the throttle is to effectively manage and limit mobile
messaging programs to a reasonable number of programs, defaulted to a maximum
of 2 new campaigns per week (One campaign may have one initial opted-in communication
followed by several two-way communications initiated by the consumer as part
of that one campaign; i.e. a trivia game). Consumers will have the option to
override the throttle through an additional Opt-in available through the standard
channels.
Confidentiality
Align with TRUSTe with specific provisions on not renting, selling or sharing
personal information about consumers participating in programs delivered through
its platform with other people or nonaffiliated companies except to provide
the products and services requested. Aggregated, non-personal, non-individual
information might be shared collectively with partners for research purposes
only. All customers should be subjected to the terms and conditions of a privacy
policy that meets TRUSTe's example.
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