The US Food and Drug Administration (FDA) has released its much-anticipated final guidance outlining how it intends to oversee developers of mobile medical applications that run on mobile phones and tablets.
On May 7, 2013, the US District Court for the Central District of California granted final approval of Steven Madden, Ltd.’s settlement of a nationwide class action alleging that it violated the Telephone Consumer Protection Act by sending plaintiff and class members unsolicited text message ads.
On May 9, 2013, the Federal Communications Commission (FCC) issued a Declaratory Ruling interpreting various provisions of the Telephone Consumer Protection Act (TCPA).
On May 7, 2013, the Federal Communications Commission (FCC) published in the Federal Register a Notice of Proposed Rulemaking (NPRM) concerning potential actions it is considering to address problems associated with rural long-distance call completion.
Today, the Federal Trade Commission (FTC) held a press conference to announce that it recently filed 8 separate complaints in federal courts across the country against entities and individuals sending “spam” text messages offering purportedly free gift cards to consumers.
On February 26, 2013, the United States Court of Appeals for the D.C. Circuit rejected a petition filed by American Electricity Power Services Corporation and other power companies challenging a 2011 Federal Communications Commission’s (FCC) order concerning pole attachments.
The deadline for filing annual certificates of compliance with federal Customer Proprietary Network Information (CPNI) rules with the Federal Communications Commission (FCC) is Friday, March 1, 2013.
Today, the Federal Communications Commission (FCC) released a Notice of Proposed Rulemaking (NPRM) concerning potential actions it is considering to address problems associated with rural long-distance call completion.
Today the Staff of Federal Trade Commission (FTC) issued a report titled Mobile Privacy Disclosures: Building Trust Through Transparency that makes recommendations for best practices in safeguarding user privacy on mobile devices.
It’s often said that to be a great attorney, you must excel when interacting with the other side. But you also must be able to excel at working with your internal clients, in other words, your own side. As everyone knows, that is sometimes easier said than done.