April 4, 2024 — Comments

The FCC should not allow wireless providers to continue to be exempt from compliance with the consent requirements for automated calls and texts to its customers. The requirement in 47 C.F.R. § 64.1200(b)(3) that some calls to residential lines using an automated or prerecorded voice (prerecorded voice calls) provide an automated opt-out mechanism should apply to all prerecorded voice calls covered by the TCPA.

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