Operation Robocall Roundup" Targets Illegal Robocalls

“Operation Robocall Roundup” Targets Illegal Robocalls

Ecommerce Innovation Alliance

August 18, 2025

The persistent issue of illegal robocalls continues to impact consumers and businesses across the United States. In a further effort to address this pervasive problem, a multi-state initiative dubbed "Operation Robocall Roundup" has been launched by the Anti-Robocall Litigation Task Force, directly targeting voice service providers that fail to comply with federal regulations and enable unwanted call traffic.…

READ FULL POST
EIA holds ex parte meetings with FCC Commissioner Trusty on Critical "Quiet Hours" Litigation

The EIA Continues Advocacy at FCC on Critical “Quiet Hours” Litigation

Ecommerce Innovation Alliance

August 14, 2025

On August 7, 2025, the EIA President & CEO David Carter, alongside former FCC Commissioner Michael O’Rielly, held two significant ex parte meetings with Federal Communications Commission (FCC) leadership. The first meeting was with Commissioner Trusty and Jessica Kinsey, Acting Legal Advisor to Commissioner Trusty. A second meeting was held with Callie Coker, Legal Advisor to Chairman Carr.…

READ FULL POST
Senate Bill 2666 the Foreign Robocall Elimination Act

New Senate Bill Aims to Tackle Foreign Robocalls, Including Input from Ecommerce Businesses

Ecommerce Innovation Alliance

August 13, 2025

The EIA is closely tracking Senate Bill 2666, the "Foreign Robocall Elimination Act," introduced in the Senate on August 1st by Senator Ted Budd and Senator Peter Welch. This bipartisan bill has been read twice and referred to the Senate Committee on Commerce, Science, and Transportation. Its primary aim is to combat unlawful robocalls, particularly those originating from outside the United States. The proposed legislation directs the FCC, in consultation with the FTC and the Attorney General, to establish a task force focused on unlawful robocalls.…

READ FULL POST
Federal Court Allows TCPA Claims for Company’s Failure to Include Its Name in Marketing Texts: Why We Believe The Court Got it Wrong

Federal Court Allows TCPA Claims for Company’s Failure to Include Its Name in Marketing Texts: Why We Believe The Court Got it Wrong

Ecommerce Innovation Alliance

August 12, 2025

In Newell v. JR Capital, LLC, a federal judge in the Eastern District of Pennsylvania recently addressed a motion to dismiss a claim alleging violations of the Telephone Consumer Protection Act (TCPA) related to marketing text messages. The plaintiff, Jourey Newell, claimed that JR Capital sent him five telemarketing text messages without required caller identification information, specifically JR Capital's name, which he alleged violated 47 C.F.R. § 64.1601(e). …

READ FULL POST
EIA Commends FCC Action Strengthening the Network Against Illegal Robocalls

EIA Commends FCC Action Strengthening the Network Against Illegal Robocalls

Ecommerce Innovation Alliance

August 8, 2025

The EIA recognizes the FCC's recent action to remove 185 non-compliant voice service providers from the Robocall Mitigation Database (RMD). This move, effective August 6, 2025, directly prevents these providers from connecting to U.S. networks until they comply with FCC regulations. As an organization dedicated to fostering a predictable and fair legal environment for the ecommerce industry, the EIA supports targeted efforts that enhance consumer protection without creating undue burdens for legitimate businesses.…

READ FULL POST
EIA Files Comments over Proposed Changes to the New Jersey Data Protection Act that Could Impact Ecommerce Brands Nationwide

EIA Files Comments over Proposed Changes to the New Jersey Data Protection Act that Could Impact Ecommerce Brands Nationwide

Ecommerce Innovation Alliance

August 4, 2025

The EIA has submitted our comprehensive comments on proposed New Jersey privacy rules. As we highlighted previously, the proposed new privacy regulations, released on June 2, 2025, appear to go "significantly beyond" the existing NJDPA and introduce requirements that diverge substantially from other comprehensive state privacy laws. Our comments emphasize that these proposed rules raise significant concerns for ecommerce brands nationwide, particularly for smaller businesses operating across state lines.…

READ FULL POST
Back Next