Submission Number: 00014 

Received: 12/10/2010 12:52:12 PM
Commenter: Maryellen Reynolds
Organization: MBCI Consulting NEWS U Can Use
State: District of Columbia
Agency: Federal Trade Commission
Initiative: 16 CFR Part 310: Telemarketing Sales Rule
Attachments: No Attachments
Submission Text
Legal marketing consultant director/advocate along with Attorney Reynolds-Rizzo-Walker-Jones-Fitzld-Levine consulting with executives and lawyers via teleconference/seminars/in site consultants. They have noted to the FTC Office of General Counsel Amend the Caller ID provisions of the rule to recognize or anticipate developments in technology should add the language, review live answere(customer service) calls for current customers versus prospective marketing calls, telemarketing calls(purchase products). Yes, we consult with business/law firms make sure clients are following FTC communication laws and regulations however the FTC should in Year 2011 reveiw the Rule due to advancing technology. We as legal advocates/consultants have research/development resources that legally progress business forward without violations of Federal Trade Laws and Regulations if they follow the consulting advice : http://mbciconsultingnewsteam.web.officelive.com