86 FR 244 pgs. 72901-72905 - Trade Regulation Rule on Impersonation of Government and Businesses
Type: PRORULEVolume: 86Number: 244Pages: 72901 - 72905
Pages: 72901, 72902, 72903, 72904, 72905FR document: [FR Doc. 2021-27731 Filed 12-22-21; 8:45 am]
Agency: Federal Trade Commission
Official PDF Version: PDF Version
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FEDERAL TRADE COMMISSION
16 CFR Part 461
Trade Regulation Rule on Impersonation of Government and Businesses
AGENCY:
Federal Trade Commission.
ACTION:
Advance notice of proposed rulemaking; request for public comment.
SUMMARY:
The Federal Trade Commission ("Commission") proposes to commence a rulemaking proceeding to address certain deceptive or unfair acts or practices of impersonation. The Commission is soliciting written comment, data, and arguments concerning the need for such a rulemaking to prevent persons, entities, and organizations from impersonating government agencies or staff and businesses or their agents.
DATES:
Comments must be received on or before February 22, 2022.
ADDRESSES:
Interested parties may file a comment online or on paper by following the instructions in the Comment Submissions part of the SUPPLEMENTARY INFORMATION section below. Write "Impersonation ANPR; FTC File No. R207000" on your comment and file your comment online at https://www.regulations.gov. If you prefer to file on paper, mail your comment to the following address: Federal Trade Commission, Office of the Secretary, 600 Pennsylvania Avenue NW, Suite CC-5610 (Annex B), Washington, DC 20580, or deliver your comment to the following address: Federal Trade Commission, Office of the Secretary, Constitution Center, 400 7th Street SW, 5th Floor, Suite 5610 (Annex B), Washington, DC 20024.
FOR FURTHER INFORMATION CONTACT:
Christopher E. Brown (202-326-2825), cbrown3@ftc.gov.
SUPPLEMENTARY INFORMATION:
I. General Background Information
The Commission is publishing this document pursuant to Section 18 of the Federal Trade Commission ("FTC") Act, 15 U.S.C. 57a; the provisions of Part 1, Subpart B, of the Commission's Rules of Practice, 16 CFR 1.7 through 1.20; and 5 U.S.C. 553. This authority permits the Commission to promulgate, modify, and repeal trade regulation rules that define with specificity acts or practices that are unfair or deceptive in or affecting commerce within the meaning of Section 5(a)(1) of the FTC Act, 15 U.S.C. 45(a)(1).
II. Objectives the Commission Seeks To Achieve and Possible Regulatory Alternatives
A. Background
Impersonation scams are a leading source of consumer fraud reported to the Commission, with the highest total financial loss for consumers. Impersonation scams can take many forms, but they generally involve scammers pretending to be a trusted source who convinces their targets to send money or to disclose personal information. 1 In the first three quarters of 2021, more than 788,000 impersonation scams were reported to the Commission, with a total reported monetary loss of about $1.6 billion dollars. 2 These scams often specifically target older consumers and communities of color? 3 as well as small businesses. 4 Two prevalent categories of impersonation scams most frequently reported by consumers are government impersonators and business impersonators. 5
Footnotes:
1 ? Imposter Scams, Fed. Trade Comm'n, https://www.consumer.ftc.gov/features/feature-0037-imposter-scams (last visited Nov. 4, 2021).
2 ?Fed. Trade Comm'n, Fraud Reports: Subcategories over time: Imposter Scams, Tableau Public (Nov. 23, 2021), https://public.tableau.com/app/profile/federal.trade.commission/viz/FraudReports/SubcategoriesOverTime . While some of the increase observed in 2021 is attributable to new data contributors, including the Social Security Administration, impersonation is a massive and persistent fraud and has been the top fraud category reported to the FTC every year since 2017. See Fed. Trade Comm'n, Fraud Reports: Top Reports, Tableau Public (Nov. 23, 2021), https://public.tableau.com/app/profile/federal.trade.commission/viz/FraudReports/TopReports. For a list of Sentinel data contributors, see https://www.ftc.gov/enforcement/consumer-sentinel-network/data-contributors.
3 ? See, e.g., AARP, Consumer Fraud in America: The Black Experience (Aug. 2021), https://www.aarp.org/content/dam/aarp/research/surveys_statistics/econ/2021/consumer-fraud-black-experience.doi.10.26419-2Fres.00456.001.pdf; AARP, Consumer Fraud in America: The Latino Experience (Aug. 2021), https://www.aarp.org/content/dam/aarp/research/surveys_statistics/econ/2021/consumer-fraud-latino-experience-report.doi.10.26419-2Fres.00455.001.pdf; Fed. Trade Comm'n, Serving Communities of Color: A Staff Report on the Federal Trade Commission's Efforts to Address Fraud and Consumer Issues Affecting Communities of Color (October 2021) at 12-15, 23, 43-44, available at https://www.ftc.gov/system/files/documents/reports/serving-communities-color-staff-report-federal-trade-commissions-efforts-address-fraud-consumer/ftc-communities-color-report_oct_2021-508-v2.pdf.
4 ? See, e.g., Compl. at 3-4, FTC v. Ponte Invs., LLC, No. 1:20-cv-00177-JJM-PAS (D.R.I. filed Apr. 17, 2020) (causing small businesses to believe callers were affiliated with the Small Business Administration); Compl. at 6-7, FTC v. Point Break Media, LLC, No. 0:18-cv-61017-CMA (S.D. Fla. filed May 7, 2018) (robocalls to small businesses claiming to be Google); Compl. at 2, FTC v. DOTAuthority.com, Inc., No. 16-cv-62186 (S.D. Fla. filed Sept. 13, 2016) ("Many of the consumers harmed by Defendants' false representations are small businesses with only a few employees and fewer than five trucks."); Compl. at 3-4, FTC v. D&S Mktg. Sols., LLC, No. 8:16-cv-1435 (M.D. Fla. filed June 6, 2016) (deceiving small businesses into spending $1.3 million on free government regulation posters); Compl. at 5, FTC v. Epixtar Corp., No. 03-CV-8511-DAB (S.D.N.Y. filed Nov. 3, 2003) (defendants sold internet services to small businesses and falsely represented they were calling from Verizon or the yellow pages).
5 ?Fed. Trade Comm'n, Fraud Reports: Subcategories over time, Tableau Public (Nov. 23, 2021), https://public.tableau.com/app/profile/federal.trade.commission/viz/FraudReports/SubcategoriesOverTime. See also Fed. Trade Comm'n, Consumer Sentinel Network Data Book 2020, 4 (2021), https://www.ftc.gov/system/files/documents/reports/consumer-sentinel-network-data-book-2020/csn_annual_data_book_2020.pdf.
[top] Government and business impersonators are fishing for information they can use to commit identity theft or seek monetary payment, often requesting funds via wire transfer, gift cards, or (increasingly) cryptocurrency. 6 The impersonator can take many forms, posing as, for example, a lottery official, a government official or employee, or a representative from a well-known business or charity. Impersonators may also use implicit representations, such as misleading domain names and URLs and "spoofed" contact information, to create an overall net impression of legitimacy. 7
Footnotes:
6 ?Fed. Trade Comm'n, Explore Government Imposter Scams, Tableau Public, https://public.tableau.com/app/profile/federal.trade.commission/viz/GovernmentImposter/Infographic (last visited Nov. 4, 2021). See also Emma Fletcher, Cryptocurrency buzz drives record investor scam losses, FTC Data Spotlight (May 17, 2021), https://www.ftc.gov/news-events/blogs/data-spotlight/2021/05/cryptocurrency-buzz-drives-record-investment-scam-losses.
7 ? See, e.g., Compl. at 8-12, FTC v. Forms Direct, Inc., No. 3:18-cv-06294 (N.D. Cal. Filed Oct. 15, 2018) (government impersonator used domains including www.usimmigration.us and www.uscitizenship.info ); Jay Peters, Hackers are impersonating Zoom, Microsoft Teams, and Google Meet for phishing scams, The Verge (May 12, 2020), https://www.theverge.com/2020/5/12/21254921/hacker-domains-impersonating-zoom-microsoft-teams-google-meet-phishing-covid-19. Cf. Compl. at 36, FTC v. Associated Cmty. Servs., Inc., No. 2:21-cv-10174-DML-CI (E.D. Mich. filed Jan. 26, 2021) (fake charity scammers "spoofed" caller ID to show names like "Breast Cancer" or "Volunteer Fire" and local area codes).
8 ? See, e.g., Stipulated Order at 5-6, FTC v. Sun Bright Ventures LLC, No. 8:14-cv-02153 (M.D. Fla. July 22, 2015); AARP, Medicare Card Scams, AARP Fraud Resource Ctr., https://www.aarp.org/money/scams-fraud/info-2019/new-medicare-card.html (last updated Feb. 4, 2021); Harriet Edelson, Social Security Administration Warns of Increase in Telephone Scams, AARP (Mar. 5, 2019), https://www.aarp.org/money/scams-fraud/info-2019/social-security-scams-psa.html.
9 ? See, e.g., Compl. at 4, FTC v. PHLG Enters. LLC, No. 8:17-cv-00220 (M.D. Fla. filed Jan. 27, 2017) (misrepresenting IRS affiliation); see also AARP, IRS Imposter Scam, AARP Fraud Resource Ctr., https://www.aarp.org/money/scams-fraud/info-2019/irs.html (last updated Aug. 20, 2021) (Treasury Department reports 2.5 million IRS impersonator calls from 2013-2021).
10 ? See, e.g., Compl. at 7, FTC v. Premier Debt Acquisitions LLC, No. 1:15-cv-00421 (W.D.N.Y. filed May 11, 2015) (threatening lawsuits and wage garnishment and posing as state law enforcement); Compl. at 2, FTC v. Centro Natural Corp., No. 14-23879-CIV (S.D. Fla. filed Oct. 20, 2014) (threatening arrest or referral to law enforcement and posing as agents of court officials, government officials, or lawyers); see also Better Bus. Bureau, 2019 BBB Scam Tracker Risk Report 26-27 (2020); Emma Fletcher, Government imposter scams top the list of reported frauds, FTC Data Spotlight (July 1, 2019), https://www.ftc.gov/news-events/blogs/data-spotlight/2019/07/government-imposter-scams-top-list-reported-frauds.
11 ? See, e.g., Compl. at 26-28, FTC v. On Point Global LLC, No. 19-cv-25046 (S.D. Fla. filed Dec. 9, 2019); Am. Compl. at 5-8, FTC v. Starwood Consulting, LLC, No. 4:18-cv-02368 (S.D. Tex. filed Mar. 27, 2019); Compl. at 1, Forms Direct, Inc., No. 3:18-cv-06294; Compl. at 3-4, D&S Mktg. Sols., No. 8:16-cv-1435.
12 ? See, e.g., Compl. at 15, FTC v. Am. Fin. Support Servs., Inc., No. 8:19-cv-02109 (C.D. Cal. filed Nov. 4, 2019); Stipulated Order at 3, FTC v. Nat'l Awards Serv. Advisory, LLC, No. 4:10-cv-5418-PJH (N.D. Cal. Apr. 19, 2012).
13 ?Fed. Trade Comm'n, Imposter Scams, Fed. Trade Comm'n Consumer Info., https://www.consumer.ftc.gov/features/feature-0037-imposter-scams (last visited Nov. 4, 2021); BBB Scam Alert: Receive a text with a surprise offer? Don't click that link!, Better Bus. Bureau (Sept. 17, 2021), https://www.bbb.org/article/scams/25888-bbb-scam-alert-receive-a-text-with-a-surprise-offer-dont-click-that-link.
Data reported to the FTC and the Commission's law enforcement experience indicate strongly that government impersonation scams are highly prevalent and increasingly harmful. From January 1, 2017 through September 30, 2021, consumers reported 1,362,996 instances of government impersonation and associated total losses of roughly $922,739,109. 14 The most common such schemes involved Social Security Administration (SSA) impersonators, with more than 308,000 complaints alleging SSA impersonation, followed by the IRS (124,000) and Health and Human Services/Medicare programs (125,000). 15 There were also several thousand reports of scammers impersonating government grant-makers (19,000); FBI, police, or sheriff personnel (11,500); the FTC (9,500); the Treasury Department (14,000); and the U.S. Postal Service (6,500). 16
Footnotes:
14 ? Government Imposter Scams, Tableau Public, supra note 6. Some figures are rounded to the nearest thousand for ease of reading.
15 ? Id.
16 ? Id.
Scammers have been quick to capitalize on the COVID-19 pandemic by exploiting consumers' concerns about their health and safety, public misinformation and confusion surrounding the crisis, and the government's response, which has fueled various COVID-related impersonation scams. 17
Footnotes:
17 ? See, e.g., Stipulated Final Order at 4, Ponte Invs., No. 1:20-cv-00177-JJM-PAS; Admin. Compl., Traffic Jam Events, LLC, No. 202 3127 (F.T.C. filed Aug. 10, 2020). See also U.S. Cybersec. & Infrastructure Sec. Agency, avoid scams related to economic payments, covid-19 (2020), https://www.cisa.gov/sites/default/files/publications/Avoid_Scams_Related_to_Economic_Payments_COVID-19.pdf; Off. of Inspector Gen., Fraud Alert: COVID-19 Scams, U.S. Dep't of Health & Human Servs ., https://oig.hhs.gov/fraud/consumer-alerts/fraud-alert-covid-19-scams/ (last updated Aug. 16, 2021); Coronavirus Scams-Consumer Resources, Fed. Commc'ns Comm'n, https://www.fcc.gov/covid-scams (last updated Aug. 26, 2021); Treasury Inspector Gen. for Tax Admin., IRS-Related Coronavirus Scam, U.S. Dep't of Treasury, https://www.treasury.gov/tigta/coronavirus.shtml (last visited Nov. 4, 2021).
Business impersonation scams cause a similarly enormous amount of financial harm to the public. From January 1, 2017 through September 30, 2021, consumers reported being defrauded of roughly $852 million in 753,555 business impersonation incidents. 18 For business impersonation frauds reported in the FTC's Consumer Sentinel Network, consumers most frequently identified impersonators of Amazon and Apple. Other common impersonations include Publisher's Clearing House, tech companies such as Microsoft and Facebook, retail banks (Bank of America, Wells Fargo, Citigroup, and JPMorgan), utilities (Comcast, Verizon, and AT&T), and consumer goods brands such as Costco and Walmart. 19
Footnotes:
18 ?Consumer Sentinel Network (Nov. 22, 2021).
19 ? Phishing Attacks, CrowdStrike (Mar. 25, 2021), https://www.crowdstrike.com/cybersecurity-101/phishing/.
Impersonation fraud in general-including business, government, friend and family, romance, and tech support impersonation-has increased during the pandemic, with reported total losses of $2 billion between October 2020 and September 2021 (up 85% year over year). 20 Since the pandemic began, COVID-specific scam reports have included 12,491 complaints of government impersonation and 8,794 complaints of business impersonation. 21 The incidence of business impersonation climbed higher during the pandemic as commerce shifted significantly online: There were 273,000 complaints about business impersonation during the period of July 2020 through June 2021, of which roughly one third-over 96,000-identify Amazon. 22 Consumers reported losing more than $27 million to Amazon impersonation alone. 23
Footnotes:
20 ?Fed. Trade Comm'n, Fraud Reports: Trends Over Time, Tableau Public (Nov. 22, 2021), https://public.tableau.com/app/profile/federal.trade.commission/viz/FraudReports/TrendsOverTime.
21 ?Fed. Trade Comm'n, FTC Covid-19 and Stimulus Reports, Tableau Public, https://public.tableau.com/app/profile/federal.trade.commission/viz/COVID-19andStimulusReports/Map (last updated Oct. 18, 2021).
22 ?Emma Fletcher, Consumer Protection Data Spotlight, Amazon Tops List of Impersonated Businesses, FTC Data Spotlight (Oct. 20, 2021), https://www.ftc.gov/news-events/blogs/data-spotlight/2021/10/amazon-tops-list-impersonated-businesses. But see supra n.2 (uptick in complaints maybe result of adding new data contributors to the Consumer Sentinel Network database).
23 ? See Fletcher, supra note 22.
[top] Although the Commission has brought many cases involving impersonator scams under Section 5 of the FTC ACT, 15 U.S.C. 45, its current remedial authority is limited. The U.S. Supreme Court recently held that equitable monetary relief, including consumer redress, is not available under Section 13(b) of the FTC Act. 24 Additionally, consumer redress under
Footnotes:
24 ? See AMG Cap. Mgmt., LLC v. FTC, 141 S. Ct. 1341, 1352 (2021).
25 ? See 15 U.S.C. 45(m)(1)(A); see also COVID-19 Consumer Protection Act of the 2021 Consolidated Appropriations Act §?1401, Pub. L. 116-260, 134 Stat. 1182 (permitting the Commission to seek civil penalties for violations of Section 5 of the FTC Act associated with "the treatment, cure, prevention, mitigation, or diagnosis of COVID-19" or "a government benefit related to COVID-19").
B. Objectives and Regulatory Alternatives
The Commission requests input on whether and how it should use its authority under Section 18 of the FTC Act, 15 U.S.C. 57a, to address deceptive or unfair acts or practices involving impersonation. Specifically, the Commission proposes addressing the following practices, which have been the subject of numerous Commission investigations and law enforcement actions: (a) Impersonation of a government official or agency by a person or organization without authority to act on behalf of that government;? 26 (b) impersonation of a business or its agents by a person or organization without authority to act on behalf of that business;? 27 and (c) entities that may provide the means and instrumentalities for these impersonators to operate. 28 Both the Mortgage Assistance Relief Services (MARS) Rule and the Telemarketing Sales Rule (TSR) already proscribe impersonation involving false government and business (including nonprofit) affiliation and endorsement claims. 29 The FTC has filed a number of law enforcement actions to protect consumers and small businesses from these types of impersonation claims outside of the purview of these rules. 30 An impersonator rule that builds on the existing sector- and method-specific rules could more comprehensively outlaw government and business impersonation. By focusing on practices that are the subject of its law enforcement experience and the subject of consumer fraud reports, the Commission anticipates streamlining this proposed rulemaking for the benefit of consumers.
Footnotes:
26 ? E.g., Compl. at 14, FTC v. Alcazar Networks, Inc., No. 6:20-cv-2200 (M.D. Fla. filed Dec. 3, 2020); Stipulated Final Order at 4, Ponte Invs., LLC, No. 1:20-cv-00177-JJM-PAS; Compl. at 9-11, FTC v. Critical Res. Mediation, LLC, No. 1:20-cv-03932 (N.D. Ga. filed Sept. 22, 2020); Admin. Compl., Traffic Jam Events, No. 202 3127; Stipulated Order at 2, Starwood Consulting, No. 4:18-cv-2368 (Dec. 10, 2019); Compl. at 27-28, On Point Global LLC, No. 19-cv-25046; Compl. at 15, Am. Fin. Support Servs., Inc., No. 8:19-cv-02109; Stipulated Order at 3-5, Forms Direct, Inc., No. 3:18-cv-06294 (Dec. 7, 2018); Stipulated Order at 6-7, FTC v. Vantage Point Servs., LLC, No. 1:15-cv-0006 (W.D.N.Y. Sept. 17, 2018); Compl. at 7, United States v. Sunkey Publ'g, Inc., No. 3:18-cv-01444 (N.D. Ala. filed Sept. 6, 2018); Final J. at 5-6, DOTAuthority.com, No. 16-62186-civ (Apr. 13, 2018); Compl. at 10, FTC v. 4 Star Resol. LLC, No. 1:15-cv-112S (W.D.N.Y. filed Mar. 20, 2018); Stipulated Order at 3, D&S Marketing Sols., No. 8:16-cv-1435 (July 10, 2017); Compl. at 4, PHLG Enters., No. 8:17-cv-00220; J. at 5-6, FTC v. Fed. Check Processing, Inc., No. 1:14-cv-00122 (W.D.N.Y. Oct. 13, 2016); Permanent Inj. & Order at 8, FTC v. CD Capital Invs., LLC, No. 8:14-cv-01033 (C.D. Cal. Aug. 22, 2016); Order at 5, United States v. Commercial Recovery Sys., Inc., No. 4:15-cv-36 (E.D. Tex. filed Apr. 18, 2016); Am. Final J. at 8, FTC v. Lake, No. 8:15-cv-00585-CJC (C.D. Cal. Mar. 22, 2016); Compl. at 3-5, FTC v. Mun. Recovery Servs. Corp., No. 3:15-cv-04064 (N.D. Tex. filed Dec. 24, 2015); Stipulated Final Order at 6-7, Premier Debt Acquisitions, No. 1:15-cv-00421 (Jan. 7, 2016); Compl. at 4, 6, FTC v. Nat'l Payment Processing LLC, No. 1:15-cv-3811 (N.D. Ga. filed Oct. 30, 2015); Stipulated Order at 3, FTC v. Broadway Global Master, Inc., No. 2:12-cv-0855 (E.D. Cal. filed Sept. 10, 2015); Final Order at 4, FTC v. First Time Credit Sol., Corp., No. 2:15-cv-01921 (C.D. Cal. July 30, 2015); Final Order at 6, Sun Bright Ventures LLC, No. 8:14-cv-02153; Final Order at 2, 5, FTC v. Centro Natural Corp., No. 1:14-cv-23879 (S.D. Fla. July 15, 2015); Default J. & Final Order at 4-5, 11, FTC v. Williams, Scott & Assocs., No. 1:14-cv-1599-HLM (N.D. Ga. Apr. 2, 2015); Final Order at 7, FTC v. First Consumers, LLC, No. 2:14-cv-01608 (E.D. Pa. Feb. 19, 2015); Stipulated Final Order at 9, FTC v. FMC Counseling Servs., Inc., No. 0:14-cv-61545 (S.D. Fla. Dec. 15, 2014); Default J. & Order at 3, 7-9, FTC v. AFD Advisors, LLC, No. 1:13-cv-06420 (N.D. Ill. Aug. 26, 2014); Final Default J. & Order at 4, 10-11, FTC v. Cuban Exch., Inc., No. 1:12-cv-05890-NGG-RML (E.D.N.Y. July 30, 2014); Stipulated Final J. & Order at 11-12, FTC v. Am. Mortg. Consulting Grp., No. 8:12-cv-01561 (S.D. Cal. Sept. 18, 2013); Stipulated Order at 10, FTC v. Freedom Cos. Mktg., Inc., No. 1:12-cv-05743 (N.D. Ill. Dec. 21, 2012); Stipulated Final J. & Order at 5-6, FTC v. Am. Credit Crunchers, LLC, No. 1:12-cv-01028 (N.D. Ill. Oct. 10, 2012); Compl. at 13-14, FTC v. Springtech 77376, LLC, No. 4:12-cv-04631-PJH (N.D. Cal. filed Sept. 5, 2012); Stipulated Final Order at 9-11, FTC v. Mallett, No. 1:11-cv-01664-CKK (D.D.C. June 14, 2012); Compl. at 11-13, 15, Nat'l Awards Serv. Advisory, No. 4:10-cv-5418-PJH (filed Apr. 19, 2012); Stipulated Final J. at 4, FTC v. Immigr. Ctr., No. 3:11-cv-00055-LRH (D. Nev. Dec. 27, 2011); Stipulated Final Order at 11, 13, FTC v. Residential Relief Found., Inc., No. 1:10-cv-3214 (D. Md. Sept. 28, 2011); Compl. at 6-7, FTC v. Loma Int'l. Bus. Group, Inc., No. 1:11-cv-01483-MJG (D. Md. filed June 1, 2011). See also Alvaro Puig, Warning: Email from FTC Chair Lina M. Khan about Coronavirus money is fake, FTC Consumer Info. (Aug. 19, 2021); Scott Graham, Why the US PTO is Seeking to Register Its Own Trademarks, Nat'l L. J. (Aug. 5, 2021), https://www.law.com/nationallawjournal/2021/08/05/why-the-uspto-is-seeking-to-register-its-own-trademarks/?slreturn=20210816155611; Better Bus. Bureau, Government Imposter Scams (July 2020), https://www.bbb.org/globalassets/local-bbbs/council-113/media/scam-studies/bbb-government-impostors-study.pdf.
27 ? E.g., Compl. at 6-9, FTC v. Nat'l Web Design, LLC, No. 2:20-cv-00846 (D. Utah filed Nov. 30, 2020) (Amazon Affiliates); Compl. at 8, FTC v. One or More Unknown Parties Deceiving Consumers into Making Purchases Through www.cleanyos.com, No. 5:20-cv-02494 (N.D. Ohio filed Nov. 4, 2020) (Lysol and Clorox); Compl. at 8-11, 13, FTC v. Disruption Theory LLC, No. 3:20-cv-06919VC (N.D. Cal. filed Oct. 5, 2020) (Global Tel*Link/Securus); Compl. at 10, FTC v. Click4Support, LLC, No. 2:15-cv-05777 (E.D. Pa. filed Oct. 26, 2015) (Apple/Microsoft); Compl. at 8-9, FTC v. Modern Tech. Inc., No. 13-cv-8257 (N.D. Ill. filed Nov. 18, 2013) (Yellow Pages). See also Brooke Crothers, Amazon, Apple, Microsoft among top brands used by scammers, Fox News.com (Apr. 17, 2021), https://www.foxnews.com/tech/amazon-apple-microsoft-top-brands-scammers; Alvaro Puig, Fake calls from Apple and Amazon support: What you need to know, FTC Consumer Info. (Dec. 3, 2020), https://www.consumer.ftc.gov/blog/2020/12/fake-calls-apple-and-amazon-support-what-you-need-know; Microsoft Corp., Protect yourself from tech support scams, Microsoft Support, https://support.microsoft.com/en-us/windows/protect-yourself-from-tech-support-scams-2ebf91bd-f94c-2a8a-e541-f5c800d18435 (last visited Nov. 4, 2021).
28 ? See, e.g., Order for Permanent Inj. & Monetary J., FTC v. Moore, No. 5:18-cv-01960, 2018 WL 4510707, at *1 (C.D. Cal. Sept. 17, 2018) (operator of fakepaystub.com "permanently restrained and enjoined from providing to others the means and instrumentalities with which to make, expressly or by implication, any statement or representation of material fact that misrepresents . . . any person's identity"); Compl. at 3-5 & Ex. H, FTC v. Moore, No. 5:18-cv-01960 (C.D. Cal. filed Sept. 13, 2018).
29 ? See Regulation O (Mortgage Assistance Relief Services), 12 CFR 1015.3(b)(3) (prohibiting misrepresentations that "a mortgage assistance relief service is affiliated with, endorsed or approved by, or otherwise associated with: (i) The United States government, (ii) Any governmental homeowner assistance plan, (iii) Any Federal, State, or local government agency, unit, or department, (iv) Any nonprofit housing counselor agency or program, (v) The maker, holder, or servicer of the consumer's dwelling loan, or (vi) Any other individual, entity, or program"); Telemarketing Sales Rule, 16 CFR 310.3(a)(2)(vii) (prohibiting misrepresentations with respect to a "seller's or telemarketer's affiliation with, or endorsement or sponsorship by, any person or government entity").
30 ? See, e.g., Compl. at 2-3, FTC v. First Time Credit Sol., Corp., No. 2:15-cv-01921-DDP-PJW (C.D. Cal. filed Mar. 16, 2015) (company used false affiliation with the FTC to market bogus credit repair services to Spanish-speaking consumers); Compl. at 8, FTC v. Gerber Prods. Co., No. 2:14-cv-06771-SRC-CLW (D.N.J. filed Oct. 30, 2014) (company misrepresented its baby formula qualified for or received approval for a health claim from the U.S. Food and Drug Administration); Compl. at 3-4, Ponte Invs., LLC, No. 1:20-cv-00177-JJM-PAS (causing small businesses to believe callers were affiliated with the Small Business Administration).
[top] The Commission seeks comment on, among other things, the prevalence of each of the above practices, the costs and benefits of a rule that would address them, and alternative or additional action to such a rulemaking, such as the publication of additional consumer and business education materials and hosting of public workshops. In their replies, commenters should provide any available evidence and data that support their position, such as empirical data, consumer-
C. The Rulemaking Process
The Commission seeks the broadest participation in the rulemaking. It encourages all interested parties to submit written comments. The Commission also requests input in analyzing various options and in drafting a proposed rule. After reviewing comments submitted in response to this advance notice of proposed rulemaking, the Commission may proceed with further steps outlined in Section 18 of the FTC Act and Part 1, Subpart B, of the Commission's Rules of Practice.
III. Request for Comments
Members of the public are invited to comment on any issues or concerns they believe are relevant or appropriate to the Commission's consideration of the proposed rulemaking. The Commission requests that factual data upon which the comments are based be submitted with the comments. In addition to the issues raised above, the Commission solicits public comment on the specific questions identified below. These questions are designed to assist the public and should not be construed as a limitation on the issues on which public comment may be submitted.
Questions
(1) How widespread is the impersonation of government entities, such as agencies of the U.S., state, and local governments? To what extent are claims made expressly and to what extent are they made by implication, such as claims of endorsement or affiliation? What types of communication and technology are used to facilitate the impersonation of government entities? What data sources did you rely on in formulating your answer(s)?
(2) How widespread is the impersonation of businesses? To what extent are claims made expressly and to what extent are they made by implication, such as claims of endorsement or affiliation? What types of communication and technology are used to facilitate the impersonation of businesses? What data sources did you rely on in formulating your answer(s)?
(3) How widespread is the impersonation of individuals or entities other than governments and businesses in interstate commerce? To what extent are claims made expressly and to what extent are they made by implication, such as claims of endorsement or affiliation? What types of communication and technology are used to facilitate the impersonation of individuals or entities other than governments and businesses? What data sources did you rely on in formulating your answer(s)?
(4) How should a rule addressing the practices described in Questions 1 through 3, above, define the term "impersonation"? What claims, images, or symbols are likely to give rise to the net impression of government or business impersonation? What evidence supports your answer(s)?
(5) For the practices described in Questions 1 through 3, above, are there individuals or entities that provide the means and instrumentalities for impersonators to conduct such practices? If so, what types of goods or services do they provide that significantly enable impersonators to conduct such practices? What type of consumer injury does this cause? Under what circumstances should the provision of such goods or services be considered deceptive or unfair? What evidence supports your answer(s)?
(6) For any practices discussed in Questions 1 through 3, above, does the practice cause consumer injury? If so, what type of consumer injury does it cause? What evidence demonstrates such practices cause consumer injury? Please provide the evidence.
(7) For each of the practices described in Questions 1 through 3, above, are there circumstances in which such practices would not be deceptive or unfair? If so, what are those circumstances and could and should the Commission exclude such circumstances from the scope of any rulemaking? Why or why not?
(8) What existing laws and regulations, other than the FTC Act, if any, address the practices described in Questions 1 through 3, above? How do those laws and regulations affect consumers? How do those laws and regulations affect businesses, particularly small businesses? What evidence supports your answer(s)?
(9) Is there a need for new regulations to prevent the practices described in Questions 1 through 3, above? If yes, why? If no, why not? What evidence supports your answer(s)?
(10) How should a rule addressing the practices described in Questions 1 through 3, above, be crafted to maximize the benefits to consumers while minimizing the costs to businesses? What evidence supports your answer(s)?
(11) Should the Commission consider publishing additional consumer and business education materials or hosting public workshops to reduce consumer harm associated with the practices described in Questions 1 through 3, above? If so, what should such education materials include, and how should the Commission communicate that information to consumers and businesses?
(12) What alternatives to regulations should the Commission consider to address the practices described in Questions 1 through 3, above? Would those alternatives obviate the need for regulation? If so, why? If not, why not? What evidence supports your answer(s)?
(13) Are there other commercial acts or practices involving impersonation that are deceptive or unfair that should be addressed in the proposed rulemaking? If so, describe the practices. How widespread are the practices? Please answer Questions 4 through 11, above, with respect to these practices.
IV. Comment Submissions
You can file a comment online or on paper. For the Commission to consider your comment, we must receive it on or before February 22, 2022. Write "Impersonation ANPR; FTC File No. R207000" on your comment. Your comment-including your name and your state-will be placed on the public record of this proceeding, including, to the extent practicable, on the website https://www.regulations.gov.
Because of the public health emergency in response to the COVID-19 outbreak and the agency's heightened security screening, postal mail addressed to the Commission will be subject to delay. We strongly encourage you to submit your comments online through the https://www.regulations.gov website. To ensure the Commission considers your online comment, please follow the instructions on the web-based form.
If you file your comment on paper, write "Impersonation ANPR; FTC File No. R207000" on your comment and on the envelope, and mail your comment to the following address: Federal Trade Commission, Office of the Secretary, 600 Pennsylvania Avenue NW, Suite CC-5610 (Annex B), Washington, DC 20580, or deliver your comment by courier or overnight service to the following address: Federal Trade Commission, Office of the Secretary, Constitution Center, 400 7th Street SW, 5th Floor, Suite 5610 (Annex B), Washington, DC 20024.
[top] Because your comment will be placed on the public record, you are solely responsible for making sure your comment does not include any sensitive or confidential information. Your comment should not contain sensitive personal information, such as your or anyone else's Social Security number; date of birth; driver's license number or
Comments containing material for which confidential treatment is requested must be filed in paper form, must be clearly labeled "Confidential," and must comply with FTC Rule 4.9(c), 16 CFR 4.9(c). In particular, the written request for confidential treatment that accompanies the comment must include the factual and legal basis for the request and must identify the specific portions of the comment to be withheld from the public record. See FTC Rule 4.9(c). Your comment will be kept confidential only if the General Counsel grants your request in accordance with the law and the public interest. Once your comment has been posted publicly at www.regulations.gov -as legally required by FTC Rule 4.9(b), 16 CFR 4.9(b)-we cannot redact or remove your comment, unless you submit a confidentiality request that meets the requirements for such treatment under FTC Rule 4.9(c), and the General Counsel grants that request.
Visit the FTC website to read this document and the news release describing it. The FTC Act and other laws the Commission administers permit the collection of public comments to consider and use in this proceeding as appropriate. The Commission will consider all timely and responsive public comments it receives on or before February 22, 2022. For information on the Commission's privacy policy, including routine uses permitted by the Privacy Act, see https://www.ftc.gov/siteinformation/privacypolicy.
By direction of the Commission.
April J. Tabor,
Secretary.
Note:
The following appendix will not appear in the Code of Federal Regulations.
Appendix-Statement Issued on December 16, 2021
Statement of Chair Lina M. Khan Regarding the Advance Notice of Proposed Rulemaking on Government & Business Impersonation
Government and business impersonation schemes cheat American consumers and small businesses out of billions of dollars every year. These scammers often pretend to be working for government institutions-like the Social Security Administration, the IRS, or law enforcement-and tell targets that if they don't hand over money or submit sensitive personal information, they could lose a government benefit, face a tax liability-or even be arrested. Sometimes these fraudsters pull off these schemes instead by pretending to be working for a well-known brand or company.
Both our enforcement work and consumer data suggest that government and business impersonation scams appear highly prevalent and increasingly harmful. These scams have been the top category of fraud reports and the largest source of total reported consumer financial losses for several year. 1 Impersonation fraud in general has skyrocketed during the pandemic-with impersonation fraudsters scamming Americans out of around $2 billion between October of last year and September of this year, an 85% increase year-over-year. 2 Government and business impersonators have shamelessly capitalized on the health, safety, and financial worries catalyzed by the COVID-19 crisis-not only tricking Americans into handing over their money or sensitive personal information, but also impeding access to needed goods, services, and benefits. While these scams affect consumers from all walks of life, our data show that scammers often specifically target the most vulnerable, including senior citizens, communities of color, and small businesses. 3
Footnotes:
1 ?Fed. Trade Comm'n, Fraud Reports: Top Reports, Tableau Public (Nov. 23, 2021), https://public.tableau.com/app/profile/federal.trade.commission/viz/FraudReports/TopReports; see also, Fed. Trade Comm'n, Consumer Sentinel Network Data Book 2020, 4-8 (2021), https://www.ftc.gov/system/files/documents/reports/consumer-sentinel-network-databook-2020/csn_annual_data_book_2020.pdf.
2 ?Fed. Trade Comm'n, Fraud Reports: Trends Over Time, Tableau Public (November 22, 2021), https://public.tableau.com/app/profile/federal.trade.commission/viz/FraudReports/FraudFacts.
3 ?Fed. Trade Comm'n, Serving Communities of Color: A Staff Report on the Federal Trade Commission's Efforts to Address Fraud and Consumer Issues Affecting Communities of Color (Oct. 2021) (noting that impersonator fraud is the highest complaint category for Latino communities and the second highest for Black communities).
The FTC routinely prosecutes these scams and has returned millions of dollars to defrauded consumers. In the last fiscal year alone, FTC's law enforcement work delivered more than $403 million back to consumers. 4 However, the recent Supreme Court decision in AMG Capital Management, LLC v. FTC has significantly curbed our ability to recover money for the victims of these schemes. 5
Footnotes:
4 ?Fed. Trade Comm'n, Protecting Older Consumers 2020-2021: A Report of the Federal Trade Commission (Oct. 18, 2021) at 17, https://www.ftc.gov/system/files/documents/reports/protecting-older-consumers-2020-2021-report-federal-trade-commission/protecting-older-consumers-report-508.pdf.
5 ? AMG Capital Management, LLC v. FTC, 141 S.Ct. 1341 (Apr. 2021). For government and impersonation cases that involve violations of current FTC rules, such as the Telemarketing Sale Rule, the Commission can still file actions in federal district court seeking either consumer redress under Section 19 or civil penalties under Section 5(m)(1)(A) of the FTC Act. But numerous types of impersonation schemes are not captured by these existing FTC rules. For example, numerous enforcement actions in which the FTC returned money to victims of impersonation fraud-such as FTC v. Forms Direct, which returned $2.2 million to individuals, or FTC v. Corporate Compliance Services, which returned over $1 million to small businesses-do not fall under existing FTC rules. See, e.g., FTC v. Forms Direct, Inc. ( American Immigration Center ), No. 3:18-cv-06294 (N.D. Cal. filed Oct. 16, 2018); FTC v. Corp. Compliance Servs., Case No. 4:18-cv-02368 (S.D. Tex. Filed July 10, 2018); FTC v. DOTAuthority.com, Inc., No. 16-cv-62186 (S.D. Fla. filed Sept. 13, 2016); FTC v. Springtech 77376, LLC, also d/b/a Cedarcide.com, No. 4:12-cv-04631-PJH (N.D. Cal. filed Sept. 5, 2012); see also, FTC v. Gerber Products Co., No. 2:14-cv-06771-SRC-CLW (D.N.J. filed Oct. 30, 2014) (despite no consumer redress, case illustrates how businesses can make false claims of affiliation or endorsement outside of current FTC rules).
To ensure that we can continue to protect Americans from these fraudsters, our staff has recommended that we initiate a rulemaking proceeding to codify a prohibition on impersonator fraud. I strongly support the issuance of this Advance Notice of Proposed Rulemaking. It is critical that our 13(b) authority be restored. It is also incumbent on the Commission to use the full range of tools that Congress has given us to ensure that Americans are protected from these fraudsters.
A rulemaking in this area could likely have a market-wide impact and serve as a deterrent for bad actors, given that a rule here would subject first-time violators to civil penalties. 6 It could also enable the Commission to obtain redress for the people who lose money to these impersonation scams. This effort is particularly critical post- AMG and would represent one of the most significant anti-fraud initiatives at the agency in decades.
Footnotes:
6 ? See 15 U.S.C. 45(m)(1)(A); see also COVID-19 Consumer Protection Act of the 2021 Consolidated Appropriations Act Section 1401, Public Law 116-260, 134 Stat. 1182 (permitting the Commission to seek civil penalties for violations of Section 5 of the FTC Act that are associated with "the treatment, cure, prevention, mitigation, or diagnosis of COVID-19" or "a government benefit related to COVID-19").
I urge my colleagues to support this ANPR and broader efforts to use our full authority to protect Americans from government and business impersonation scams. I will look forward to public comments and engagement during our rulemaking proceeding to inform this effort.
[FR Doc. 2021-27731 Filed 12-22-21; 8:45 am]
BILLING CODE 6750-01-P