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DA 11-1494
September 1, 2011
Enforcement Advisory No. 2011-10
PREPAID CALLING CARDS
ENFORCEMENT BUREAU PROPOSES SIGNIFICANT PENALTIES FOR DECEPTIVE MARKETING
OF PREPAID CALLING CARDS; CONSUMERS ADVISED TO CAREFULLY REVIEW CARD
ADVERTISEMENTS
Today, the Federal Communications Commission acted on four major
investigations by the Enforcement Bureau involving companies that appear
to have deceptively marketed prepaid calling cards, proposing substantial
penalties of $5 million per company. In these cases, the Commission found
that the companies apparently marketed prepaid calling cards, primarily to
immigrants, with claims that an inexpensive card would allow the buyer to
make hundreds or even thousands of minutes of calls to foreign countries.
It appears, however, that because the companies assessed multiple fees and
surcharges, consumers might receive only a small fraction of the
advertised minutes. We are issuing this enforcement advisory to alert
companies that we are monitoring prepaid calling card practices, and will
continue to take aggressive action against companies engaged in unfair and
deceptive advertising to consumers. We also urge consumers to protect
themselves by reviewing advertisements for prepaid calling cards
carefully, including reading the fine print, to ensure that they
understand what they are actually buying.
What is a prepaid calling card? Prepaid calling cards provide a specified
amount of calling time, paid for in advance when the card is bought. The
cards can be very convenient, generally allowing consumers to call family
and friends inside or outside of the United States from any phone. The
cards are typically sold in denominations of $2, $3, or $5 at newsstands
and in grocery and convenience stores, and are often advertised to
consumers using posters displayed in retail locations.
What statutory provision applies to the marketing of prepaid calling
cards? Section 201(b) of the Communications Act mandates that "[a]ll
charges, practices, classifications, and regulations for and in connection
with [interstate or foreign] communication service, shall be just and
reasonable..." The FCC has found companies liable for unfair and deceptive
marketing as an "unjust and unreasonable practice" under section 201(b).
Applying section 201(b) in today's prepaid calling card cases, the FCC
found that the companies involved apparently deceptively represented to
buyers of their calling cards that they could use hundreds if not
thousands of minutes to make calls to foreign countries when, in fact,
they could use only a fraction of those minutes because a variety of fees
and surcharges quickly depleted the cards. The FCC found that the
companies' disclosures about these fees contradicted the much more
prominent claims in the marketing materials as to how many calling minutes
were available on the cards. In addition, the companies' explanations of
the range of fees and other terms and conditions were apparently so vague
that it was difficult for a consumer to know, when purchasing the cards,
what fees would apply or how the fees would impact the number of calling
minutes actually received.
What should consumers know when purchasing prepaid calling cards? When
consumers buy prepaid calling cards, they are paying in advance for an
amount of telephone calling time. Some calling cards, however, come with
fees that can significantly reduce the amount of calling time from the
amount that is advertised. Because consumers pay for these cards in
advance - usually at retail businesses that do not provide the phone
service - it is critical that consumers carefully read the advertisements
or other marketing materials, including any fine print on the packaging or
the back of the card itself, so they are aware of fees associated with use
of the card. These fees can include "post-call," "disconnect," and
"hang-up" fees that are deducted from the card's value each time the
consumer hangs up the phone after using the card, or "maintenance" fees
that are deducted shortly after the consumer uses the card and again at
regular intervals. Consumers should also make sure they know whether the
advertised minutes apply only if the card is used to make a single call,
or whether the number of minutes advertised can instead be used over the
course of multiple calls without any penalty. In addition, they should
check to see if they will be charged for using a "toll-free access" number
to place the call. Finally, prepaid calling cards often have expiration
dates. Consumers should be sure to keep track of the date on which the
card expires so that any unused minutes are not lost.
What should businesses do to ensure they are in compliance? Prepaid
calling card companies should review section 201(b) of the Communications
Act as well as today's proposed forfeitures, cited above, as they relate
to carriers' advertising and marketing practices. We encourage companies
to provide sufficient information about rates, fees, and the actual number
of minutes available with their cards, clearly and conspicuously disclosed
at the point of sale, to allow consumers to make an informed decision
about the products they are purchasing. Businesses should consult their
legal counsel on any questions pertaining to their particular operations.
We expect this Advisory will lead to greater compliance with the
Communications Act in the marketing of prepaid calling cards. At the same
time, however, we emphasize that section 201(b) provides important
consumer protections and that we will continue to strictly enforce it.
What happens if companies do not comply with the law? Failure to comply
with the Communications Act may subject a company to severe penalties
including, but not limited to, substantial monetary forfeitures.
What can consumers do if they encounter a problem with their prepaid
calling cards? Consumers should first contact their prepaid calling card
service provider. If consumers are unsatisfied with their service
provider's response, we encourage them to contact the FCC at
1-888-CALL-FCC (1-888-225-5322) or to file a complaint online at
www.fcc.gov/complaints.
Need More Information? For additional information, contact Richard A.
Hindman of the Enforcement Bureau at 202-418-7320. Please direct media
inquiries to David Fiske at 202-418-0513 or david.fiske@fcc.gov. For
general information on the FCC, you can contact the FCC at 1-888-CALL-FCC
(1-888-225-5322) or visit our website at www.fcc.gov.
To request materials in accessible formats for people with disabilities
(Braille, large print, electronic files, audio format), send an email to
fcc504@fcc.gov or call the Consumer & Governmental Affairs Bureau at
202-418-0530 (voice), 202-418-0432 (TTY). You may also contact the
Enforcement Bureau on its TTY line at 202-418-1148 for further information
about this Enforcement Advisory, or the FCC on its TTY line at
1-888-Tell-FCC (1-888-835-5322).
Issued by: Chief, Enforcement Bureau
47 U.S.C. S: 201(b).
See, e.g., NOS Communications, Inc., Notice of Apparent Liability for
Forfeiture, 16 FCC Rcd 8133 (2001); Business Discount Plan, Inc., Order of
Forfeiture, 15 FCC Rcd 14461 (2000). See also STi Telecom Inc., formerly
Epana Networks, Inc., FCC 11-129 (rel. September 1, 2011); Locus
Telecommunications, Inc., FCC 11-130 (rel. September 1, 2011); Lyca Tel,
LLC, FCC 11-131 (rel. September 1, 2011); Touch-Tel USA, LLC, FCC 11-132
(rel. September 1, 2011).
Page 2 of 2
PUBLIC NOTICE
Page 1of 2
PUBLIC NOTICE
FCC ENFORCEMENT ADVISORY
Federal Communications Commission
445 12th St., S.W.
Washington, D.C. 20554
News Media Information 202 / 418-0500
Internet: http://www.fcc.gov
TTY: 1-888-835-5322
News Media Information 202 / 418-0500
Internet: http://www.fcc.gov
TTY: 1-888-835-5322
Federal Communications Commission
445 12th St., S.W.
Washington, D.C. 20554