Playing small does not benefit the world.
How much can you take and keep moving forward?
Playing small does not benefit the world.
How much can you take and keep moving forward?
BuzzBooster is looking for people motivated to promote one of our new services for local businesses.
Commissions are very good! Contact us by e-mail buzz@buzzbooster.com
We are giving a presentation tomorrow, April 15th, on the topic above.
It is free and you don’t have to be a member to attend.
Get more info on this marketing event here: Chamber East.com
The new economy has changed the way we sell and the way people buy.
You might have felt this in your business, but do you know how to adapt to the new reality?
BuzzBoosters has just release a new flash program that will guide you step by step on how to sell more in the new economy.
I don’t want to brag but this program can change your life.
This program targets decisive business owners that want to take action and generate more sales.
We’ll not be offering this program in the same format in the future.
Check more about the Off-Road Sales Strategies for the New Economy
As expected, the recession created a lot of new internet marketers and social media gurus. There is a lot of hype and not a lot of experience behind many of them.
The consumer that due to the economy is a lot more resistant to new purchases is now worried that he might be the next one to buy snake oil.
One way to avoid buying from people that will not be able to deliver what they promise is to educate yourself a little bit more on the topics you are interested in incorporating in your marketing strategies.
There are many events around the country that have lots of good, experienced professionals that you may attend.
To the new people in the market, there is nothing wrong in creating competitions, but please do the same. Attend some events to educate yourself and to deliver good results to your clients.
Below is a list of events you might want to attend. If events are not an option for you at the moment. Don’t forget we have several onDemand marketing training programs
SOBcon 2010– April #0th in Chicago- www.sobevent.com
Search and social spring summit– May 3rd, Tampa- www.searchsocialsummit.com
Conversion Conference West 2010– May 4th- San Jose- www.conversionconference.com
Radiant Success Event– May 20th- Raleigh-
New marketing Experience– May 26th- www.nmlevents.com
Search Marketing Expo Advanced– June 8th- Seattle- www.searchmarketingexpo.com
Digital marketing days– June 14th0 NY- www.dmdays.org
Linkshare symposium– June 22nd- NY, – www.linkshare.com
BlogHer 10– August 5th, NY- www.blogher.com
Audience Conference – August 14th- NY- www.theaudienceconference.com
Affiliate Summit East 2010– August 15th- NY- www.affiliatesummit.com
Search Engine Strategies San Francisco – August 16th- www.searchenginestrategies.com
Blog World Expo– October 14th- LV- http://www.blogworldexpo.com/
We are so happy that spring is coming and the cold is going away we decided to have a Deal of the day week.
Every day this week we’ll have a very special deal for you, so don’t forget to check every day.
Monday, March 28th the deal will be a powerful Joomla website, designed like you want, no page limit, for 50% off. Not only you will get one of the best websites out there, we’ll give you 2 training sessions so you can update your site. That is only $850 in 2 payments.
All you need to do is call us this Monday at 801-8429765
This will make your spring a lot better!
Where are the BuzzBoosters
We just came back from the Impact event where we had a great time, met some amazing people and got new clients. We got to meet and talk with Adam Urbanski, a person we wanted to know better for a long time since we admire his work. We had a great time there!
There was some free time to walk on the beach and relax, something we don’t do very often and there was time to play some geocaching. It was very exciting to find a camera geocaching! Nashlah was talking about this one for 2 days no stop. It was the highlight of this trip for her.
In May we are going to Dallas for the Super Conference. Looking forward to meet some of our friends there and do a lot of networking.
Also in May we’ll be attending Adam Urbanski event in Orange County .
JVAlert Philadelphia is on our map too.
Of course in every event we get some great tips from experts and add to our weekly show at BuzzBooster.tv
You don’t want to miss the best small business marketing show!
In order to celebrate the new look of our small business marketing site we’ll be giving away the download of our new book on social media “The Popcorn Effect”
The Popcorn effect gives several tips on social media marketing for small business and is a great guide for beginners.
Just sign up for it on any page at the right side box.
This week talks about Linchpin from Seth
Godin, We shoot bottles and how to use tryvertising in your business plus a visit to a CD duplication company. Hosted by Shahar and Nash Boyayan.
Watch the Buzzbooster web show now!
Ken McArthur posted today a great article about the new guidelines merchant accounts are following concerning direct marketing. I have posted the article below.
“Prenotification Negative Option” or simply “Negative Option” practices in particular, have fallen under intense scrutiny. The advertising rules are defined and enforced by the Federal Trade Commission “The Prenotification Negative Option Rule”, for all avenues of marketing. Negative Option has been defined as a “category of commercial transactions in which sellers interpret a customer’s failure to take an affirmative action, either to reject an offer or cancel an agreement, as assent to be charged for goods or services.”
FTC Rules apply to all marketing channels, including mail or telephone orders (MOTO).
IMPORTANT NOTE: The following is NOT legal advice – Please consult your attorney before making any decisions.
DIRECT RESPONSE BEST PRACTICE GUIDELINES FOR MERCHANTS
TRIAL OFFERS
Marketing models that employ “Free-Trial”, “Deferred Billing” and/or “Shipping Only” are considered trial offers for purposes of this communication. Consumers must be receiving a tangible good or contracted service in exchange for charging of payment cards. Incentivized discount offers are acceptable when the cardholder is receiving goods or services in exchange for payment; however we will be unable to support accounts engaging in hidden or delayed charges and ‘free’ offers that are not truly free.
1. Avoid using terms in your marketing and offer presentation such as “Free”, “Risk Free” or any similar and potentially misleading phrases when consumers will be enrolled in a monthly continuity program at the end of a trial period, or will be paying a deferred charge for the trial period. The phrase “Free Trial” is prohibited unless there is truly no cost or obligation incurred by the consumer.
2. “Shipping & Handling Only” offers must be a fair and accurate shipping charge reasonable to be accrued by the merchant for providing the product.
3. Trial offers must be extended for a minimum of 10 days.
4. Trial periods should not begin until the product is shipped to the consumer.
MARKETING
1. Avoid creating a ‘false sense of urgency’ for the consumer. Unless the consumer’s ability to order is genuinely taken away after a specified timeframe or order count is reached, this practice is prohibited. Use of applications such as countdown clocks, tickers, or language such as “Offer Expires Today!” is also prohibited.
2. Product claims, by law, must be truthful. Claims regarding effectiveness must be substantiated by clinical research conducted to support the claims, and consistent with the formulas and ingredients in your product
3. Qualifications for trial periods of a product should follow pre-determined rules disqualifying consumers who do not meet parameters, including but not limited to: Age, Weight, Height, and Location.
4. Unreasonable claims or guarantees are prohibited. Examples of claims considered unreasonable are: “Flushes Pounds”, “Flushes Toxins”, “Builds Muscles”
* Stating that use of a product will result in permanent weight loss
* Stating that a product will cause the consumer to lose a specified amount of weight in a specified timeframe
* Stating that a product will cause substantial weight loss no matter what or how much the consumer eats.
* Stating that use of a product can cause weight loss (or muscle growth) in specific body parts
“Free Money”, “Instant Money”
* Stating that the product can substitute the income of a full time job
* Stating that money can be earned with little to no effort or investment
* Stating that use of a product will earn you hundreds of thousands or millions of dollars
Additional examples include:
* Stating that the product has been successfully used by an unrealistic or unsubstantiated number of people
* Stating that a product will secure the consumer a job, either at the product’s company or another company
* Stating or implying that a product is endorsed or in any way associated with President Obama or a government entity.
ENDORSEMENTS/TESTIMONIALS:
1. Endorsements and testimonials of user experiences must reflect the true and honest opinions of the endorsee(s).
2. Endorsements and testimonials provided must present a clear picture to consumers of realistic results of using the product. If advertisers do not have substantiation of a specific claim or endorsement, then generally expected results must be clearly disclosed and backed by substantiation of any claims.
3. Blogs used for promotional purposes must be in compliance with published FTC guidelines, representing an accurate and full representation of the endorsee, or clearly designated as a fictional story if developed internally for marketing purposes.
4. News Sites published in marketing materials must be in compliance with published FTC guidelines, and must be clearly presented to the consumer as an advertorial. Written consent should be obtained from a media outlet prior to using the logo.
5. Implied celebrity endorsement by use of an image in your marketing is prohibited without express legal written consent.
AFFILIATE MARKETING (CPA) NETWORKS
A significant contributing factor to Historical Excessive chargeback violations has been the utilization of CPA Networks. Transactions generated from internet traffic and all other lead sources must be managed and monitored for potential fraud using an approved system. Third Party service engagement may be a requirement for account approval.
1. CPA Networks should contractually be held accountable for monitoring traffic generated from participating marketers.
2. Merchants must have monitoring plans in place to detect suspect traffic and monitor Affiliate and Sub-Affiliate performance.
BILLING TERMS DISCLOSURE
The FTC has recently published guidelines regarding “Negative Option” enrollment programs and is taking a very aggressive position against merchants utilizing/employing this business practice. Recommendations taken in part from the FTC’s website may include but are not limited to the following:
1. Negative Option disclosures must be clear and conspicuous to the consumer and comply with published FTC principals.
2. The full price of products sold must be within reasonable “fair market value”
3. Under no circumstances should consumers be billed for a product or service not disclosed.
4. Consumers must be required to validate understanding of the terms of the offer twice during order submission.
The first validation can take place with the initial offer presentation prior to submission of credit card information, and the second during the checkout process. The confirmation order page must also require consumers to acknowledge that they agree to the Terms & Conditions and authorize the merchant to charge the credit card for the disclosed dollar amount. Terms must be displayed adjacent to the “submit”,”confirm” or any other “call to action” button confirming the order. The price must be within 100 pixels of the “submit”,”confirm” or any other “call to action” button.
* Terms must be in a minimum 12-point “easy to read” font.
* Avoid visually distracting graphics from the display of terms.
* Pre-checked boxes must never be used.
* Consumers should be required to actively and individually select each offer or bonus during the checkout process when there are multiple offers or up sells presented. No offers or up sells should be pre-selected or pre-checked.
* Consumers should not be able to move forward in the offer or checkout until the box acknowledging the terms is checked.
* Verbiage must clearly disclose the enrollment into an ongoing membership with no distraction. An example of an acceptable disclosure is: “By clicking “Submit” you acknowledge that you understand you are being enrolled in a 10 day trial for $4.95, and after expiration of the 10 day trial period you will be charged $59 per month until you cancel your service”
* All products or services purchased when the call-to-action button is clicked should be billed as a single charge unless the order is fulfilled at different times requiring multiple charges.
* Shipping and Handling should not be billed separate from charges for the product or service.
BILLING TIMEFRAMES
1. A merchant may not bill a consumer the full price twice in a 30-day span. An acceptable billing cycle example would be:
* Day 1 – Consumer signs up for a 10 day trial offer with paid shipping of $4.95 charged at the time of order.
* Day 11 – The first monthly order is shipped and the consumer is billed the full price of $59.
* Day 41 – The second monthly order is shipped and the consumer is billed the full price of $59.
2. Consumers should not be billed prior to shipment of products.
REFUND POLICIES
Merchants must not make it difficult for consumers to exercise the disclosed cancellation procedures and all cancellation requests must be honored in accordance with the stated terms of the transaction.
1. Refund policies must be disclosed prior to the sale completion. Establish a clear, concise statement of your refund and credit policy. Your policy should be consistent with the objectives of your business and the products or services sold.
2. Merchants must not require return of any trial offer product samples in order for the consumer to receive a refund, or cancel their ongoing subscription.
3. “Full Money Back” or “Full Satisfaction” guarantees are considered false and prohibited unless the offer provides a full refund on all products, including but not limited to Shipping & Handling charges.
4. Refunds should be for the full amount charged including shipping and handling
5. All future billing to a customer should be canceled when a refund is issued.
6. All future billing to a customer should be canceled when a chargeback is received.
BACK END OFFERS, AKA UP SELLS OR CROSS SELLS:
All sales should be directly between the business entities (merchants) processing the transactions and the consumer, with consumer authorization for all purchases.
1. Under no circumstances can consumer data be shared with another company as this is a violation of Brand
Regulations, including but not limited to the Payment Card Industry Data Security Standard.
2. Forced and hidden up sells are strictly prohibited
3. Up Sells with recurring charges are prohibited, regardless of consumer opt-in or acknowledgement of the offer.
4. A one-time bonus offer may be extended to the consumer for an additional product offered by the same company as the initial transaction. The price of the bonus offer must be clearly disclosed and the consumer must acknowledge the terms of the sale prior to providing credit card information for completion of the sale, and again at order confirmation/ submission.
DESCRIPTORS
1. ALL MERCHANTS DEFINED AS OFFERING A DIRECT MARKETING PRODUCT WILL BE ASSIGNED A DESCRIPTOR FORMATTED TO COMPLY WITH VISA REQUIREMENTS, TO INCLUDE AN *.
2. Billing descriptor should be consistent with the website name, marketing materials, purchase confirmation, and shipping notification (if any) sent to the consumer.
FULFILLMENT
1. Orders must be fulfilled in a timely manner. It is recommended that all products be shipped within 48 hours (2 business days) from the date of order.
2. A confirmation email should be provided for all online orders with physical shipment, within the prior 5 days to shipment or 2 days following shipment, including the following information:
* Merchant contact information (at minimum a consumer service phone number)
* Order information including purchaser’s name, unique order or customer ID, summary of item(s) purchased
* Terms of the order, including initial amount billed and future billing schedule (this should be stressed)
* Cancellation and refund policy
* Delivery confirmation / tracking information
3. An invoice should be included with the product including the following information:
* Merchant contact information (at minimum a consumer service phone number)
* Terms of the order, including initial amount billed and future billing schedule
* Cancellation and refund policy
CUSTOMER SERVICE:
1. Multiple methods of cancellation must be provided for consumers to cancel or request refunds, including at least two options of contact. Example of acceptable service channels include: phone, email, mail, and online chat. Phone support is strongly recommended as one of the options.
2. “Contact Us” information including contact methods and hours of availability should be prominently displayed in all marketing, offer and payment pages, as well as included in purchase confirmations, invoices and any other communication with consumers.
3. Customer Service must be easily accessible and available during reasonable business hours
4. Refund and Cancellation Policies must be followed as disclosed to the consumer at the time of order
5. Hold times to reach Customer Service must be less than 2 minutes.
6. After hours voice mail should include a greeting that properly identifies the merchant to the consumer, provides hours of Customer Service availability and an expectation for call back.
RESOURCES:
The FTC has published the regulations along with many resources online for businesses and consumers. A few helpful links are included below:
Commercial Practices Part 425, Use of Prenotification Negative Option Plans
Pre-notification Negative Option Plans
Advertising and Marketing on the Internet
Dot Com Disclosures