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Legal Library: Search
The legal library gives you easy access to the FTC’s case information and other official legal, policy, and guidance documents.
August 19 , 2003 Robert Corn-Revere, Esq. Davis Wright Tremaine LLP Suite 450 1500 K Street, N.W. Washington, DC 20005-1272 Dear Mr. Corn-Revere: This letter responds to your request on behalf of the...
… of the Franchise Rule's general media earnings claims provisions to new marketing techniques, such as pop-up …
This staff advisory opinion addresses for the first time the application of the Franchise Rule's general media earnings claims provisions to new marketing techniques, such as pop-up screens and banner...
… is issued in response to your request for advice, dated April 18, 1997, concerning the application of the Franchise Rule to your client's proposed business arrangement. … Informal Staff Advisory …
This staff advisory opinion is issued in response to your request for advice, dated April 18, 1997, concerning the application of the Franchise Rule to your client's proposed business arrangement. I...
… Commission's Franchise Rule, 16 C.F.R. Part 436, to your proposed business arrangement. … Informal Staff Advisory …
This staff advisory opinion is issued in response to your recent request for our views concerning the applicability of the Federal Trade Commission's Franchise Rule, 16 C.F.R. Part 436, to your...
… Franchise Rule, 16 C.F.R. Part 436, to your client's proposed dealership arrangement. In particular, you ask …
This staff advisory opinion is issued in response to your recent request for our views concerning the applicability of the Federal Trade Commission's Franchise Rule, 16 C.F.R. Part 436, to your client...
… we addressed whether the payment of a share of future profits by a franchisee could be considered a required …
This staff advisory opinion is issued in response to your request for a clarification of Informal Advisory Opinion 98-5 (June 24, 1998). In that advisory, we addressed whether the payment of a share...
… to your request for advice on whether your client's proposed affiliation program is covered by the Franchise Rule and, if it is, whether the program qualifies for the fractional franchise exemption. 16 …
This staff advisory opinion is issued in response to your request for advice on whether your client's proposed affiliation program is covered by the Franchise Rule and, if it is, whether the program...
… we will address whether a secured, non-negotiable, promissory note due six months after the franchisee actually …
This staff advisory opinion is issued in response to your recent request for advice concerning the Commission's Franchise Rule. 16 C.F.R Part 436. Specifically, we will address whether a secured, non...
… Opinion Subpage This advisory opinion addresses the preparation of financial statements under the FTC's Franchise Rule. In its request, the California … of Corporations asks whether franchisors are required to prepare financial statements according to Generally Accepted …
This advisory opinion addresses the preparation of financial statements under the FTC's Franchise Rule. In its request, the California Department of Corporations asks whether franchisors are required...
… response to your request for our views on whether a not-for profit 501(c)(3) organization satisfies the definition of a …
This staff advisory opinion is issued in response to your request for our views on whether a not-for profit 501(c)(3) organization satisfies the definition of a franchise under the Franchise Rule. I...
… with an individual must comply with the applicable provisions of the Fair Credit Reporting Act ("FCRA") …
February 23, 1998 Mr. Herman L. Allison Contangy, Brooks & Smith, LLC Suite 2400 230 Peachtree Street, N.W. Atlanta, Georgia 30303-1557 Re: Section 603(h) of the Fair Credit Reporting Act Dear Mr...
March 2, 1998 John A. Buchman, Esq. Holland & Knight 2100 Pennsylvania Ave., N.W. Suite 400 Washington, D.C. 20037 Re: Section 604 of the Fair Credit Reporting Act Dear Mr. Buchman: This responds to...
… (03-03-98) Advisory Opinion Subpage Division of Credit Practices Bureau of Consumer Protection Clarke W. Brinckerhoff Attorney (202) 326-3224 …
Division of Credit Practices Bureau of Consumer Protection Clarke W. Brinckerhoff Attorney (202) 326-3224 March 3, 1998 Paul H. Schieber, Esq. Blank Rome Comisky & McCauley One Logan Square...
… (06-09-98) Advisory Opinion Subpage Division of Credit Practices Clarke W. Brinckerhoff Attorney 202-326-3224 June …
Division of Credit Practices Clarke W. Brinckerhoff Attorney 202-326-3224 June 9, 1998 Ms. Gail Goeke LATHROP & GAGE 2345 Grand Boulevard Kansas City, MO 64108 Re: Criminal records checks -- FCRA §...
June 9, 1998 Mr. John Beaudette Operations Manager Employment Screening Services 6th Floor South 9 Washington Spokane, WA 99204 Re: Sections 603(d)(1), 604(b), 606, 607(e), 609, and 610 of the Fair...
June 9, 1998 David G. Islinger, Esq. Jackson, Lewis, Schnitzler & Krugman Courthouse Plaza 60 Washington Street Morristown, New Jersey 07960-6844 Re: Section 603(d) of the Fair Credit Reporting Act...
June 10, 1998 Ms. Mary Poquette Verifications, Inc. 920 Second Avenue South Suite 610 Minneapolis, Minnesota 55402 Re: Section 603(d) of the Fair Credit Reporting Act Dear Ms. Poquette: This is in...
In this tolling agreement scenario, Company A should report in Item 5 the revenue for any sales that appear on the books of the US business of Company A, and do so using a wholesale NAICS Code.
… 9009008 Informal Interpretation 9009008 Informal Interpretation (redacted) … of our view from the Federal Trade Commission ("FTC"). The facts are as follows: Our client, a private … considered unproved and undeveloped. We are aware that the FTC has consistently taken the position that transfers of …
Rule
7A(c)(1)
9/17/90 Will advise (redacted) when he calls that we agree with his analysis and conclusion that the transaction is exempt. TH
… 9012009 Informal Interpretation 9012009 Informal Interpretation (redacted) December 14, 1990 Ms. Nancy M. Ovuka Compliance Specialist Federal Trade Commission Pre-Merger Notification Office Room 301 Sixth Street and …
Rule
802.1(a)
Conclusion correct, but not for reasons cited. Exempt as realty in the ordinary course. Income stream incidental to sale of property & business of partnership which isdevelopment. Golf course "turnkey...