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INFORMATIONAL
Network Working Group                                           T. GavinRequest for Comments: 3098                       Nachman Hays ConsultingFYI: 38                                                  D. Eastlake 3rdCategory: Informational                                         Motorola                                                            S. Hambridge                                                                   Intel                                                              April 2001How to Advertise Responsibly Using E-Mail and Newsgroupsor - how NOT to$$$$$  MAKE ENEMIES FAST!  $$$$$Status of this Memo   This memo provides information for the Internet community.  It does   not specify an Internet standard of any kind.  Distribution of this   memo is unlimited.Copyright Notice   Copyright (C) The Internet Society (2001).  All Rights Reserved.Abstract   This memo offers useful suggestions for responsible advertising   techniques that can be used via the internet in an environment where   the advertiser, recipients, and the Internet Community can coexist in   a productive and mutually respectful fashion.  Some measure of   clarity will also be added to the definitions, dangers, and details   inherent to Internet Marketing.Table of Contents1.  Introduction ..............................................22.  Image and Perception of the Advertiser.....................43.  Collateral Damage .........................................54.  Caveat Mercator ...........................................55.  Targeting the Audience ....................................76.  Reaching the audience .....................................8A.   Dedicated website or web page ........................8B.   "Shared" Advertising website .........................9C.   Netnews and E-Mailing list group postings ............10D.   Compiled E-Mail Lists ................................117.  Opt-In Mailing Lists ......................................12A. Privacy ................................................13B. Integrity ..............................................13C. Protection .............................................16Gavin, et al.                Informational                      [Page 1]

RFC 3098                Advertising Responsibly               April 20018.  Irresponsible Behavior ....................................169.  Responsible Behavior ......................................1710. Security Considerations ...................................19   Appendices ....................................................20A.1  The classic Pyramid ....................................20A.2  What about Ponzi? ......................................22A.3  So all multi-levels are evil? ..........................22B.1  Why Web Privacy? .......................................23   References ....................................................25   Authors' Addresses ............................................26   Acknowledgments and Significant Contributors .................27   Full Copyright Statement ......................................281. Introduction   The Internet is not a free resource.  Access to and a presence on the   'Net comes at a cost to the participants, the service provider, and   the recipients of those services made available by the Internet.  The   more readily available internet has allowed users access to an   unprecedented number of people.  Due to the rapid growth and   "mainstream" acceptance of the 'Net, new opportunities have been   found for the distribution of information to the vast and ever-   growing community of Internet users.  There are groups and   individuals who choose to use the 'Net for purposes for which it was   not intended, thus defying the consensus among both the practitioners   and the unwilling recipients.  The aforementioned practice, of   course, is the sending of Unsolicited Commercial and Bulk E-Mail   messages, posts to Netnews groups, or other unsolicited electronic   communication.  This condition has caused an awakening on the part of   the Internet community-at-large.   There are stereotypes that must be broken before continuing.  Not all   persons who are new to the Internet are ignorant of the 'Net's   history and evolution, or its proper and ethical uses.  Nor are all   experienced, long-term Netizens against the use of the Internet for   advertising, marketing, or other business purposes.  Where these two   groups can find commonality is in their opposition to the use of the   Internet in irresponsible ways.  Some of these irresponsible uses   include, but are not limited to, the sending of Unsolicited Bulk or   Commercial E-Mail to mailing lists, individuals, or netnews groups.   In the vernacular, this activity is called "spamming" (the sending of   "spam" [1]).  To understand why such activities are irresponsible,   one must first understand the true cost and ramifications of such   actions.   The protocols and architecture upon which the 'Net is built, which   are recognized and adhered to as standards, provide for an openness   and availability which foster and encourage easy communication.Gavin, et al.                Informational                      [Page 2]

RFC 3098                Advertising Responsibly               April 2001   These standards were developed at a time when there was no need to   consider the concept of "rejecting" information.  While those   standards have evolved, they continue to emphasize open   communication.  As such, they do not associate costs or impact with   the user-initiated activities which may occur.  Because of this   openness, persons can and do send large volumes of E-Mail, with   little-to-no cost or financial impact for the volume of messages   sent.  Needless to say, this presents the attractive option (to those   who would consider such activity) of multiplying the recipients of   their marketing material, and presumably, increasing their success-   rate.  However, and to reiterate an earlier statement in this text,   there is a cost to be incurred at some point in this communication   relationship.  In the case of E-Mail advertising, since the cost of   operation does not increase on the part of the sender, it must   therefore increase on the side of the recipient.   And it does.  Every recipient of every E-Mail message bears a cost,   either direct (cost per message received, an incremental increase in   connection charges) or indirect (higher service fees to recoup   infrastructural costs associated with the additional 'Net traffic   which such mass-mailings create).  In addition, other resources, such   as the disk space and time of the recipient, are consumed.   Because the recipients have no control over whether or not they will   receive such messages, the aforementioned costs are realized   involuntarily, and without consent.  It is this condition (the   absence of consent to bear the costs of receipt of a mass-   distributed message) that has shaped the Internet Community's   viewpoint - that the act of sending spam constitutes a willful theft   of service, money, and/or resources.  Those who choose to ignore the   financial impact, and instead focus on the consumption of indirect   resources, have been known to label spam "Internet Pollution".   The Internet provides a tremendous opportunity for businesses, both   large and small.  There is certainly money to be made using the 'Net   as a resource.  This paper recommends practices and ways to use the   Internet in manners which are not parasitic; which will not, by their   mere existence, engender predetermined opposition, litigation, or   other negative conditions.  This paper does not guarantee freedom   from those, or other negative responses - rather, it provides the   reader with a framework through which the marketer/advertiser and the   'Net community (and more importantly, the seller's target market) can   coexist as well as possible.Gavin, et al.                Informational                      [Page 3]

RFC 3098                Advertising Responsibly               April 20012. Image and Perception of the Advertiser   While it may appear to be financially attractive to advertise via the   use of Mass-Messaging ("spam"), as a responsible Internet user,   ADVERTISERS SHOULD AVOID THIS OPTION.  The possibility of income   generation and market or business expansion are minuscule when   compared to some of the risks:        -   The alienation of the vast majority of the recipients            of an advertising message [2][3]        -   The damage or loss of credibility in the advertisers            market [2]        -   Loss in advertiser's and/or seller's Internet            connectivity (most service providers have strict            "zero tolerance" policies which prohibit the use            of their systems for the sending of spam, or            for encouraging or enabling such activities)        -   Civil and Criminal litigation.  In the United States,            (and progressively in other sovereign states), it has            become accepted as fact that the theft-of-service            associated with spamming often constitutes an            unlawful use of private property and is actionable            as trespass to chattels (a civil law term            tantamount to "theft") in civil court [4][5][6][7]            [8].   It is a fundamental tenet to any Internet presence that a party will   be responsible for their Internet "image", or the personae that they   create.  If an advertiser sells a product which is enjoyed by many,   and the advertiser has not alienated, offended or angered a   disproportionately larger number of uninterested recipients, that   advertiser could be viewed as a hero.  Conversely, an advertiser   broadcasting their product to millions of uninterested parties, at   the parties' cost, will earn the advertiser the moniker of "spammer",   thief, or other less attractive names.  The advertiser will be held   responsible for those actions, and the effects those actions have in   the marketplace, which is to say, the 'Net community.   "On the Internet, nobody knows you're a dog." [9]  That was the   caption to an illustration published in the 1990's.  The message is   clear - the Internet renders all parties anonymous.  The methods used   to sell products in the traditional sales channels - language, image,   relationships, eye contact or body language - no longer apply when   measuring an Internet sale.  Reputation, reliability, honesty,   trustworthiness, and integrity have taken the place of the moreGavin, et al.                Informational                      [Page 4]

RFC 3098                Advertising Responsibly               April 2001   direct sales approaches that have been previously used.  These are   dictated by the rate at which both information and misinformation   travel on the Internet.  And, just as an Internet user cannot control   what messages are sent to them, neither can the Internet marketer   control the information that is disseminated about them, or their   activities.  Some information will circulate that is not accurate.   Perhaps there will be cases where there will be information   circulating which is downright incorrect.  But, a successful market   reputation, based on ethical behavior, will render the inevitable   piece of misinformation meaningless.  For an advertiser to exist   responsibly on the Internet is for the advertiser and seller to take   active responsibility for their actions.3. Collateral Damage   As this paper has pointed out, there is ample reason to expect that   the sending of spam will result in a significant level of undesirable   reactions, targeted at the advertiser and/or the seller.  Death   threats, litigation and retaliatory actions are commonplace.  For   these reasons, "spammers" (and in particular, those entities   providing mass-mailing services for third-party businesses) will   frequently take steps to ensure their anonymity.  These actions take   various forms, and have been known to include:        -   Forging the sender name, domain name, or IP Address            of the sender (called "spoofing")        -   Sending messages through any type of hardware, software            or system which belongs to an uninvolved third-party            (called "relaying")   Each of these activities, as well as numerous others, are criminal   acts in many countries.  It is unethical to use the resources of any   other party without their express permission. To do so breaches the   laws of numerous jurisdictions and international agreements -   offenders have been successfully prosecuted in numerous   jurisdictions.4. Caveat Mercator   "Let the Seller beware."  Advertisers and Sellers can be held   responsible for the appropriateness (or lack thereof) of the messages   they send when applied to the recipients to whom the advertisements   are sent.  For this reason, all prospective advertisers must first be   absolutely certain that the recipients of their advertising are   appropriate.  For example, sending an advertisement which contains a   link to a website where content of an overt sexual nature is   displayed can have many undesirable consequences:Gavin, et al.                Informational                      [Page 5]

RFC 3098                Advertising Responsibly               April 2001        -   In many countries, providing such material to under-            age minors is a crime.  As the provider of the link,            the advertiser's position is tenuous.        -   In some countries, such material is a crime to view,            possess, or distribute ("trafficking").  As the website            owner or advertiser, a party engaging in such activities            must consider the ramifications of international law.   To prevent such risk, advertisers should qualify the recipients of   their advertising.  However, it must be noted that E-Mail addresses   provide little useful information to that end.  Remember, "On the   Internet, nobody knows you're a dog."  Advertisers will have no way   to qualify a prospective recipient as an adult with complete   discretionary and plenipotentiary authority.  In other words, an   advertisement targeting a high-income population in need of property   investment opportunities may be sent to a group of school children.   Or a dog.   How then, does the prospective advertiser/seller determine the   quality of their leads?  The essential requirement is that the   advertiser "know" their audience.   As with all sales leads, the ones which are developed and generated   by the advertiser who will use them are of the most value.  There is   an inherent value to collecting the data first-hand; by collecting   the data directly from the prospective recipient, the advertiser can   accomplish two important goals:        -   The advertiser ensures that the recipient is genuinely            interested in receiving information.  Thus, the advertiser            can protect themselves from the negative impact of sending            Unsolicited E-Mail ("spam").        -   The advertiser maintains the ability to "pre-qualify" the            lead.  One interested lead is worth more, from a sales and            marketing perspective, than millions of actively            uninterested potential recipients.   If an advertiser maintains an active website or uses other mass-   marketing tools (such as direct-mail), and they are interested in   pursuing Internet Advertising, the advertiser can add a mechanism to   gather sales lead data in a relatively simple manner.  From the   perspective of Responsible Use, the only such mechanism to be   discussed in this text will be the "Opt-In" concept, to be discussed   in detail later in this document.Gavin, et al.                Informational                      [Page 6]

RFC 3098                Advertising Responsibly               April 2001   Regardless of the manner in which the information is gathered, there   are certain steps which the advertiser must follow.  The advertiser   must inform the person that data is being collected.  In addition,   the reason why the information is being collected must be clearly   stated.  BE AWARE!  There are jurisdictions which restrict the   collection of Personal Data.  The laws addressing collection and   future handling of Personal Information will vary from place to   place; advertisers must take steps to gain an understanding of those   laws.   Prudence should be the advertiser's guide.  If an advertiser is   unsure as to the applicability or legality of an action, both in the   jurisdiction of the advertiser as well as that of the recipients, the   action must be avoided entirely.  Advertisers would be well advised   to realize that, if they engage in spamming, they will inevitably   break the laws of some jurisdiction, somewhere.5. Targeting the Audience   Advertisers have something to sell.  It may be a product, service, or   other tangible or intangible item.  And, of course, the advertiser   needs to get the word out to the market - quickly.  After all,   neither the seller or the advertiser are making sales and earning   profits if nobody is buying the product.  However, before advertisers   can advertise the product, they must first determine to WHOM the   product will be advertised.   There are considerations in determining the answer to that question.   This text has already addressed how the sending of Unsolicited   Commercial E-Mail ("spam") can generate a number of negative effects.   In addition, numerous surveys cited herein show that the vast   majority of publicly-available mailing lists and Netnews groups   similarly abhor spam.  The advertiser's first step should always be   to determine which avenues are appropriate for advertising.  Then,   advertisers must determine which avenues are appropriate for EACH   SPECIFIC ADVERTISEMENT.  Advertisers are faced with the task of   determining which Netnews groups accept ads, then of those, which   groups are of a topic to which the proposed advertising is relevant.   Similarly, the same work should be done for mailing lists.   Advertisers should take some level of comfort in the fact that there   *are* Netnews groups and mailing lists which welcome advertising -   finding them is a worthwhile investment of the advertiser's time and   resources.   For assistance in locating such advertising-friendly websites,   mailing lists, and Netnews groups, advertisers can consult existing   ethical and responsible Internet advertisers.  Alternatively, any   low- or no-cost research resource or search engine can be employed toGavin, et al.                Informational                      [Page 7]

RFC 3098                Advertising Responsibly               April 2001   find those groups and lists.  BUT UNDER NO CIRCUMSTANCES SHOULD AN   ADVERTISER PURCHASE A MAILING LIST AND START MAILING!  There are   other reasons which will be addressed further into this document, but   to engage in such activity opens the advertiser to the liabilities   and negative ramifications previously stated.  Such negative   conditions cause increased costs to the seller/advertiser, when the   risks (loss of connectivity, defense against litigation, avoiding   discovery, etc...) are factored into an advertiser's overall   operation.  In short, it is in the best interests of the seller and   advertiser to ensure that the proper audience is targeted, prior to   any further steps.6. Reaching the audience   Once the prospective advertiser has determined a target market for a   specific advertisement, a manner of advertising must be selected.   While these are too numerous to mention, this document concerns   itself only with those that apply to the ethical use of Internet   resources.  Of those, the pertinent ones to be examined (in order of   desirability and effectiveness) are:        -   A dedicated website or web page        -   Advertisement placed on a "shared" advertising site            (placing an advertisement on an established web-page            which caters to people that indicate a potential            for interest in (a) specific type(s) of product(s).            Such advertisements can take the form of text, links,            "Click-Through Banners", or other.        -   Netnews posting        -   Targeted E-Mail messages   Note that any manner of blind broadcast (distribution-based)   advertising which does not involve the targeting of the recipients is   not considered responsible.   Once the advertiser has determined the medium for reaching their   target audience, there are key points to be considered, each being   specific to the medium of advertisement:   A.   Dedicated website or web page        Advertisers have the option of creating a dedicated website, or        a page within another site for their advertisement.  If, from a        technical standpoint, an advertiser is unsure of the process forGavin, et al.                Informational                      [Page 8]

RFC 3098                Advertising Responsibly               April 2001        creating such a website, there are numerous resources available        to provide assistance.  From no-cost avenues such as        instructional websites; to low-cost resources such as books,        videotapes or classes; to full-service businesses and        consultants who can advise advertisers throughout the entire        scope of the website/web page design, implementation and hosting        process (or any part thereof), there is a solution available        for every type of site and cost-structure.   B.   "Shared" Advertising website        Advertisers have the option of placing their advertisements on        a website operated by a third-party.  For advertisers with an        immediate need, such sites (also called "Electronic Malls",        "E-Shops" or other names) have several advantages.  In some        cases, a shared site can be more cost-efficient than building        a dedicated website.  Many sites will target a specific market        (refer toSection 5 of this document).  By using existing        resources, advertisers can avoid the cost and burden of        owning their own site.  Many websites will target a specific        advertisement to a specific audience, thus providing much of        the research for the prospective advertiser, and providing        the advertiser the means with which to reach the most receptive        audience.  Additionally, advertisements from such advertising        sites can be integrated into a larger context, such as        supporting free e-mail services, Internet access, or news        broadcasts.  Such integration can lend a level of credibility        to an advertising effort that might not exist otherwise.        Some notes on the use of any type of website for advertising:        Regardless of what method an advertiser chooses to use for        for advertising on the Web, there are some specific caveats        regarding customer interactions:             First, the advertiser must ensure that their contact             information - name, phone, e-mail address - are all clear             and available;             Second, advertisers should take care in creating forms             which gather information about customers, as there is             concern in the United States and other countries about             gathering information from minors without parental consent.             There is also concern about grabbing dynamic information             via persistent state information, such as through the use             of "cookies" or through data collection software resident             on the user's computer without their knowledge.Gavin, et al.                Informational                      [Page 9]

RFC 3098                Advertising Responsibly               April 2001             Information should only ever be gathered in a voluntary and             informed fashion, as opposed to the use of cookies, forms,             or other methods that may be available;             Third, if advertisers DO gather information about people             and plan to use it for marketing in ANY way, advertisers             must be VERY clear to specify their plans as people             submit their information.   C.   Netnews and E-Mailing list group postings        If an advertiser has selected newsgroups as a targeted medium,        there are critical preliminary determinations to be made.  The        accepted presumption should be that a Netnews group will not        welcome spam, although there are newsgroups which are        advertising-friendly.  However, the only way to determine        whether a group welcomes a particular type or form of        advertising is to either:             -   read the Frequently Asked Questions (FAQ) to determine                 what is specifically permitted or prohibited on that                 particular group.                 or             -   ask the group by posting a message which briefly                 notes how you intend to advertise your product.  Do not                 mention any product details in this message, merely ask                 if the group would object.                 or             -   if it is a "moderated" newsgroup, send an e-mail to                 the group's moderator.  Many group moderators will have                 a specific preference for how to deal with advertising,                 through compilation, "digest" formats, or other.        It is a recommendation that prospective advertisers read the        groups to which they choose to post for a period before posting.        Generally, an extended period of reading the messages in the        group will give the advertiser an indication as to how their        advertisement will be viewed or accepted on the group in        question.        However, this period of reading should not be used as a        substitute for the suggestions above.  Many groups will have        specific instructions and/or requirements for postingGavin, et al.                Informational                     [Page 10]

RFC 3098                Advertising Responsibly               April 2001        advertisements.  Advertisers who fail to meet those        requirements will be undertaking irresponsible behavior,        and will be subject to the effects thereof.   D.   Compiled E-Mail Lists        It bears repeating at this point: Let the Seller Beware.  The        material discussed inSection 4 of this document is        particularly relevant in the consideration of E-mail, and        the use of compiled lists of e-mail addresses for advertising.        Advertisers should understand that they bear the responsibility        for ensuring the proper targeting of their recipients; the        proper display of their or their seller's identities; and the        use of resources or systems only with the express permission        of the owners of those systems.        When faced with the task of collecting and compiling recipient        information, one option that is frequently presented is that of        pre-compiled mailing lists.  Most often, these are advertised        using the very method which is irresponsible, that of        Unsolicited E-Mail.  There are numerous reasons why these lists        should not be used.        Many suppliers create mailing lists from addresses which they        have gathered in mildly to extremely unethical ways.  Many of        these list-makers rely on grabbing volumes of addresses without        checking their legitimacy.  In other words, they send out        software robots to grab addresses they find in News or Mailing        List archives which may be many years old!  In addition, many        list owners create addresses using a "dictionary", creating        vast numbers of invalid addresses which are then sold to        unsuspecting purchasers.  People change jobs, change ISPs,        and change everything about themselves over time; trusting        a third party for a mailing list is just not wise.        It is known that some mailing list providers have created        mailing lists from E-mail addresses of people who have asked to        be REMOVED from their mailing lists.  They then sell these lists        to other advertisers who think they're getting a list of people        who will welcome the unsolicited information.        Regardless of the source, however, advertisers and sellers bear        the responsibility for maintenance of their lists.  Purchasing a        list from a third-party shifts the maintenance costs of that        list onto the advertiser who uses it.  Needless to say, this is        only economical for mailing list vendor.Gavin, et al.                Informational                     [Page 11]

RFC 3098                Advertising Responsibly               April 2001        Given these conditions, all evidence points to the fact that        the greatest level of control of an advertiser's own success        and liability rests with the advertiser themselves.  This being        the case, advertisers are faced with the task of compiling their        own lists of willing recipients of Advertising-related E-Mail        messages.  As discussed previously, those leads which are        generated by the advertiser are the most likely to have an        interest in the advertisement, so they are also the least likely        to protest the receipt of such advertisements via E-Mail.  It        is this circumstance that makes the use of an "Opt-In" list        (refer toSection 7 of this text) to be perhaps the most        successful method of advertising distribution on the Internet.        It must be noted here - for the same reasons that apply above,        if an advertiser has compiled their own mailing list for their        purposes, that list must NEVER be sold to another party.  Just        as it is considered unethical to purchase a third-party mailing        list, it is equally so to be the provider of that list.        Customers who wish to receive information about your product        are not likely to respond favorably when contacted in an        unsolicited fashion by your business associates; protect your        reputation from the backlash of bad-faith that can occur in        such cases.7. Opt-In Mailing Lists   This document has laid out the basic facts of Internet Marketing; the   advertiser bears the responsibility of their actions; there will   always be recipients of that advertising who do not wish to receive   it; there are reactions to every responsible and irresponsible act.   Given these considerations, and taking into account the central   message of this document; that Internet Advertising *can* be a   successful venture for everyone involved; there remains a key tool   for the Internet advertiser to harness.  Opt-In mailing lists provide   the prospective Internet advertiser with the control they need over   the list of their prospective target audience (validity of e-mail   address; applicability to the intended product; willingness to   receive advertising via e-mail).   Opt-In mailing lists are consistently shown to be more effective in   starting and maintaining customer relationships than any other type   of Internet advertising; studies have shown Opt-In mailing to be   Eighteen (18%) Percent more effective than Banner advertising [10],   which has a response rate of only 0.65%.  It is so successful because   the recipients of those E-mailed advertisements made a specific   effort to receive them, thus indicating their interest in receiving   information about products which the recipient felt were of interest   to themselves.Gavin, et al.                Informational                     [Page 12]

RFC 3098                Advertising Responsibly               April 2001   Advertisers wishing to employ Opt-In mailing lists in their   advertising can turn to several resources for assistance.  If an   advertiser operates their own website or web page, they already   possess the most important facet, a web presence with which to invite   participation in the Opt-In list.  If the advertiser chooses to use a   shared website for their product, they can also utilize an Opt-In   data gathering mechanism.  There are numerous forms and technologies   that can be employed to build an Opt-In list - this document will not   address them individually.  Rather, the purpose of this section is to   provide the advertiser with information which, when used, will help   protect the advertiser, and make the advertising experience a   successful one.   A. Privacy      As stated previously, advertisers should take care in      gathering information from Opt-In participants.  First and      foremost, the person providing the information must be aware      that they are doing so.  By taking these preliminary steps,      an advertiser decreases the risk of having any messages      interpreted as spam.  If, in submitting information for any      purpose, the advertiser intends to use the submitted or      inferred data for any mailings, there should be clear      language indicating so.  Furthermore, persons submitting data      must be given the choice to "Opt-Out"; that is, to choose to      submit the data but NOT receive any advertisements.  A safe      course of action is for the advertiser to configure their      data-gathering so "Opt-Out" is the default; that is, to      ensure that any members of the list have made a concerted      effort to get onto said list.  In nearly all cases, merely      having a "check-box" available with the caption         "Please send me E-Mail advertisements or          announcements about your products."      is sufficient.      It is crucial that advertisers be aware that different      jurisdictions deal with the collection of personal data      differently - the burden of verification of these laws rests      on the advertisers.  For additional information on privacy,      refer toAppendix B of this document.   B. Integrity      When maintaining a list where names can be submitted via some      type of public or semi-public resource, such as a website,      advertisers should take steps to verify every subscription toGavin, et al.                Informational                     [Page 13]

RFC 3098                Advertising Responsibly               April 2001      that list.  There are key pieces of data that can be used to      verify the integrity of a particular subscription request,      but the only person who can attest to the genuineness of the      actual act of subscribing is the owner of the E-Mail address      which has been submitted.      To protect themselves from the risk of inadvertently spamming      an unsuspecting recipient, advertisers should immediately      confirm any submission.  In doing so, advertisers can satisfy      all requirements for responsible confirmation of a subscription      request.  In addition, if a person's E-Mail address has been      submitted to a list without the knowledge or permission of the      owner of that E-mail address, immediate notification of that,      and the receipt of supporting data, enables the owner of that      account to act accordingly to protect their account from future      wrongdoing.      When generating confirmations, the following information must      be provided to the subscriber:         -     the E-Mail address subscribed         -     the manner in which it was subscribed               (website or mailing list address)         -     the Date and Time of the subscription request               (via NTP, for uniformity in future reference)         -     the IP Address of the host which submitted               the request         -     the full headers of the subscription request               (where applicable, such as mailing lists)         -     the Name, website address, and contact E-Mail               address of the advertiser         -     instructions to the recipient as to how to               permanently remove themselves from the list      In addition, a well-represented business will make an effort      to communicate this material in a way which the average      recipient can understand and relate to, such as the following      example [11]:Gavin, et al.                Informational                     [Page 14]

RFC 3098                Advertising Responsibly               April 2001        - - - - - - C O N F I R M A T I O N - - - - - - - - - - - -        Thank you for your interest in Widget Sales!        This is confirmation of your subscription request for the        Widget Sales E-mail list.        You are currently subscribed with this address:                foo@bar.example        Your request was received via our website at                http://www.example.com/input.html        If you did not submit this request, someone may have        submitted it for you, or may be pretending to be you.        If you wish to be removed from this list, Reply to this        message with the word UNSUBSCRIBE as the body of the        message.        If you feel you were added to the list without your        permission, the information below should be forwarded to        your ISP's Administrative staff for follow-up, with an        explanation of your concern.        As stated inRFC-2635, "you can do this by sending mail        to "Postmaster@your-site.example".  Your postmaster should be        an expert at reading mail headers and will be able to tell if        the originating address is forged.  He or she may be able to        pinpoint the real culprit and help close down the site.  If        your postmaster wants to know about unsolicited mail, be sure        s/he gets a copy, including headers.  You will need to find        out the local policy and comply."        Widget Sales, Inc.            |      http://www.example.com        Responsible Internet          |            info@example.com        Marketing - Made Easy!        |       cust-serv@example.com        -----------------------------------------------------------        Submission Information:         Request received for foo@bar.example from 192.168.0.1 at            06:41:55:13(GMT) on 07.03.1999 via         http://www.example.com/input.htmlGavin, et al.                Informational                     [Page 15]

RFC 3098                Advertising Responsibly               April 2001        E-Mail headers follow:         Received: from 01.anytown.dialup.example.net            ([192.168.0.1]) by adshost.example.com            (FooBarMail v01.01.01.01 111-111) with SMTP            id <19990703054206.VDQL6023@77.anytown.dialup.example.net>            for <marcel@example.com>; Sat, 3 July 1999 01:41:55 +0000         From: Customer <foo@bar.example>         To: mail-list@example.com         Subject: Submission Request         Date: Sat, 03 July 1999 01:41:55 -0400         Organization: Zem & Zem Bedding Company, Inc.         Reply-To: foo@bar.example         Message-ID: <k???12qelNxp7Q=??3dbgLHWTLv@4??.bar.example>         X-Mailer: FooBarMail HTTPMailer Extension 1.0.532         MIME-Version: 1.0         Content-Type: text/plain; charset=us-ascii         Content-Transfer-Encoding: quoted-printable   C. Protection      Advertisers should be advised of certain measures they can take      to protect themselves.  Frequently, and especially when the      traffic on a particular mailing list is low, a subscriber may      forget that they had requested membership on that list.  When a      new message is sent and subsequently received, said recipient      may lodge a complaint of spamming.  If this situation is      multiplied by several recipients, the advertiser and/or seller      risks losing their Internet access, even if they have acted      responsibly throughout the process.      For this reason, advertisers should keep an archive of all      submission requests which are received.  This archive should be      kept as diligently as the advertiser's operational data, and      should be similarly safeguarded.  Having such requests available      will protect the advertisers from any reports of spamming,      whether they are malicious, or the result of a genuine      misunderstanding.  For reasons that should be obvious, those      messages should remain archived for a period that lasts AT      LEAST as long as the list remains active.  While this is not      necessarily a requirement for responsible behavior, it is a      measure of safety for the responsible advertiser.8. Irresponsible Behavior   Shotgunning a message doesn't really work in any medium, but it is   much easier to do with the Internet than with paper mail or telephone   solicitations.  The steps which have been provided in this paper willGavin, et al.                Informational                     [Page 16]

RFC 3098                Advertising Responsibly               April 2001   assist the advertiser in creating a favorable environment for their   work; in ensuring that they maintain a responsible presence on the   Internet; and in targeting the types of customer and the methods to   be used to reach those potential customers.  Given these steps, there   are some actions which should be avoided as the basis for any   Responsible advertising presence on the Internet.   DON'T advertise money-making opportunities that can, in any way, be   construed as Pyramid or Ponzi schemes.  (For information regarding   those types of "investments", refer toAppendix A.1 of this   document.)   DON'T forge E-mail headers to make it look as if the messages   originate from anywhere other than where they really originate.  Many   domain owners have won litigation against advertisers who have used   their domain name in an effort to conceal their true identity.   [12][13][14]   DON'T send out any sort of bogus message to "cover" the intended   activity, which is advertising.  In other words, don't pretend that a   personal message from the advertiser to someone else was sent to a   mailing list by mistake so that the body of that message can be used   to advertise, as in this example:      Dear Tony - had a great time at lunch yesterday.  Per your      request, here's the information on the latest widget I      promised [...].   DON'T use overly-general statements such as "Our research shows   you're interested in our product."  Most recipients know this is   usually a bogus claim.  Use of it can rob any legitimacy that the   advertisement may hold.   DON'T create mailing lists from third party sources (seeSection 6;   Part D of this document, above).   DON'T SELL MAILING LISTS!!!   Enough negativity!  Now for some helpful suggestions.9. Responsible Behavior   DO create a lively signature which tells the minimum about the   product/service.  But keep it to 4 lines total (four lines is the   maximum recommended length for signatures).Gavin, et al.                Informational                     [Page 17]

RFC 3098                Advertising Responsibly               April 2001   DO participate in mailing lists and newsgroups which discuss topics   related to the particular product/service.  Advertisers will find   people of a similar interest there and many potential customers.  So   long as an advertiser isn't offensive in their interactions with   these groups they can find their participation quite rewarding.   DO ask people if they want to be part of any mailing list that is   created.  Advertisers must be clear about their intentions of how   they plan to use the list and any other information that is   collected.   DO tell people how list data has been gathered.  If recipients are   signed up from a web page, make sure the prospective recipient is   aware that they will be getting mail.  Many web pages have getting   mail selected as default.  Our recommendation is that the default be   that recipients do NOT wish to receive mailings - even if the   prospective recipients find an advertiser's site of interest.   DO respect the privacy of customers.  Keep a mailing list private.   For an advertiser to sell a mailing list is not responsible or   ethical.  In addition, if offering any type of online transactions,   advertisers should take care to encrypt any sensitive information The   addresses of the list members should never be viewable by the list   recipients, to protect your list members' privacy.   DO take steps to safeguard all of the personal information that is   being taken from customers, such as Credit Card or other Payment   information.  Provide honest information regarding the methods being   used to protect the customer's data.   DO let recipients know how to remove themselves from a mailing list.   Advertisers should make this as easy as possible, and place the   instructions in every message sent.   DO let people know for what purpose any data is being collected.   Advertisers must ensure that their plans regarding data collection   are legal.   Advertisers and Sellers can check with the web site of the Better   Business Bureau, which operates in the United States and Canada.   (www.bbb.org) This organization has several programs and services   which can help advertisers in those countries, and has other   resources which will benefit advertisers of any nationality.   "Advertisers should advertise responsibly the better mousetrap they   have built, and the world will beat a path to their E-mail address."Gavin, et al.                Informational                     [Page 18]

RFC 3098                Advertising Responsibly               April 200110. Security Considerations   This memo offers suggestions for responsible advertising techniques   that can be used via the Internet.  It does not raise or address   security issues, but special attention should be paid to the section   on "Privacy".  While not strictly a network security consideration,   privacy considerations can have legal ramifications that deserve   special attention.Gavin, et al.                Informational                     [Page 19]

RFC 3098                Advertising Responsibly               April 2001Appendices   Most readers of this document are probably aware as to why "Pyramid"   or "Ponzi" schemes are fraudulent, and in most places, criminal.   Appendix "A" describes how these schemes work and some of the risks   inherent in their operation and participation.   For a topical review of Privacy law across multiple jurisdictions,   including several sovereign nations, Appendix "B" provides some   resources for advertisers or other interested parties.A.1  The classic Pyramid   In the classic Pyramid scheme, there is a list of a few people.  A   participant sends money to one or all of them, and then shifts that   person off the list and adds their own name.  The participant then   sends the same message to N people....   The idea is that when a recipient's name gets to the special place on   the list (usually at the "top" of the pyramid), they will get lots of   money.  The problem is that this only works for everyone if there are   an infinite number of people available.   As an example, examine a message with a list of four people where   each participant sends US$5.00 to each; removes the first name, and   adds their own name at the bottom.  There may also be some content   encouraging the participants to send "reports" to people who submit   money.  Presume the rules encourage the participants to send out lots   of copies until they each get ten direct responses, 100 second level   responses, etc., and claim there is a guarantee that the participants   will earn lots of money fast if they follow the procedure.   First, some person or group has to have started this.  When they did,   they were able to specify all four names so it was probably four   people working together to split any profits they might get from   being the top of the pyramid (or maybe they sent out four versions of   the original letter with their name order rotated).  In some cases,   all names on the list have been proven to be the same person,   operating under assumed business names!   While the letters that accompany these things usually have all kinds   of language about following the instructions exactly, the most   rational thing for a dishonest participant to do if they decided to   participate in such a thing would be to;Gavin, et al.                Informational                     [Page 20]

RFC 3098                Advertising Responsibly               April 2001        (1) send no money to anyone else; and        (2) find three other people and replace all the names on            the list.   But, presume that not just this participant, but everyone who ever   participates decides to follow the "rules".  To avoid the start-up   transient, assume that it starts with one name on the list and for   the next three layers of people, one name gets added and only after   the list is up to four does any participant start dropping the "top"   name.   What does this look like after nine levels if everything works   perfectly? The following table shows, for nine levels, how many   people have to participate, what each person pays out, gets in, and   nets.      Level         People       Out          In        Net      1                  1         0     $55,550    $55,550      2                 10        $5     $55,550    $55,545      3                100       $10     $55,550    $55,540      4              1,000       $15     $55,550    $55,535      5             10,000       $20     $55,550    $55,530      6            100,000       $20      $5,550     $5,530      7          1,000,000       $20        $550       $530      8         10,000,000       $20         $50        $30      9        100,000,000       $20           0        -20   So if this scheme ever progressed this far (which is extremely   unlikely) over 10,000 people would have made the "guaranteed"   $50,000.  In order to do that, one hundred million people (or over   ten thousand times as many) are out twenty dollars.  And it can't   continue because the scheme is running out of people.  Level 10 would   take one billion people, all of whom have $20 to submit, which   probably don't exist.  Level 11 would take ten billion, more people   than exist on the earth.   Pyramid schemes are _always_ like this.  A few people who start them   may make money, only because the vast majority lose money.  People   who participate and expect to make any money, except possibly those   who start it, are being defrauded; for this reason, such schemes are   illegal in many countries.Gavin, et al.                Informational                     [Page 21]

RFC 3098                Advertising Responsibly               April 2001A.2  What about Ponzi?   A Ponzi scheme is very similar to a pyramid except that all of the   money goes through a single location.  This method of confidence   fraud is named after Charles Ponzi, a Boston, Massachusetts   "businessman" who claimed to have discovered a way to earn huge   returns on money by buying international postal reply coupons and   redeeming them in postage for more than their cost.  Early   "investors" in this scheme did get their promised return on   investment, but with money that later investors were investing.   Ponzi was actually doing nothing with the money other than deriving   his own income from it, and paying latter investors' money to earlier   investors.   Notice the similarity to early pyramid participants, who "earn" money   from the later participants.   Just as pyramids always collapse, Ponzi schemes always collapse also,   when the new people and new money run out.  This can have serious   consequences.  People in Albania died and much of that country's   savings were squandered when huge Ponzi schemes that "seemed" to be   partly backed by the government collapsed.A.3  So all multi-levels are evil?   No, all multi-level systems are not the same, nor are they all   "evil".   If what is moving around is just money and maybe "reports" or the   like that are very cheap to produce, then almost certainly it is a   criminal scam.  If there are substantial goods and/or services being   sold through a networked tier-system at reasonable prices, it is more   likely to be legitimate.   If the advertisement says participants can make money "fast", "easy"   or "guaranteed", be very suspicious.  If it says participants may be   able to make money by putting in lots of hard work over many months   but there is no guarantee, then it may be legitimate.  As always, if   it seems "too good to be true", it probably is.   If people are paid to recruit "members" or can "buy" a high "level",   it is almost certainly a criminal scam.  If people are paid only for   the sale of substantial goods and/or services, it is more likely to   be legitimate.Gavin, et al.                Informational                     [Page 22]

RFC 3098                Advertising Responsibly               April 2001   It may also be worthwhile to look at the history of the organization   and its founders/leaders.  The longer it has been around, the more   likely it is to continue being around.  If its founders or leaders   have a history of fraud or crime, a person should think very   carefully before being part of it.B.1   Why Web Privacy?   Directories, lists or other collection sources of personal data are   the current informational "gold rush" for Internet Marketers.  In the   United States and other countries, there is no explicit guarantee of   personal privacy.  Such a right, under current legislation, stands   little chance against certain electronic technologies.  Some members   of the global community have expressed concern regarding perceived   intrusion into their personal privacy.  Still, the collection and   sale of such information abounds.   Self-regulation by businesses utilizing the Internet is the first   choice of legislators, commercial websites, and Internet aficionados.   However, the anticipated profit to be made by selling personal data   and by using these lists for advertisement purposes, often dissuades   self-regulation.   United States Senator Patrick Leahy, Ranking Minority member of the   Judiciary Committee of the United States Senate (at the time of the   writing of this document) states very succinctly why we should   respect Internet Privacy:      "Good privacy policies make good business policies.  New      technologies bring with them new opportunities, both for      the businesses that develop and market them, and for      consumers.  It does not do anyone any good for consumers      to hesitate to use any particular technology because they      have concerns over privacy.  That is why I believe that      good privacy policies make good business policies."   The Center for Democracy and Technology suggests Five Conditions that   websites should use to be considerate of individual's rights to   privacy:Gavin, et al.                Informational                     [Page 23]

RFC 3098                Advertising Responsibly               April 2001        -   Notice of Data Collection        -   Choice to Opt Out        -   Access to Data to rectify errors        -   Adequate Security of Information Database        -   Access to contact persons representing the data collector   Notice that the practice of data collection authorization can be   accomplished using something as simple as an automated response E-   Mail message.  Such notices should contain easily understood   information about the collecting party's identity, and instructions   as to how a customer can remove themselves from the collected   population.  This will help assure prospective customers that an   advertiser is a business of integrity.   Businesses that pursue international trade (do business across   national boundaries, overseas, etc...) bear the risk of facing legal   prosecution for personal privacy violations.  The European   Communities have legislation for the flow of Personal Information.   If an advertiser is interested in pursuing business interests across   borders, and particularly if a business intends to solicit and/or   share Personal Information, the advertiser/seller must be able to   guarantee the same privacy considerations as a foreign counterpart,   or as a business operating in the nation in which the advertiser is   soliciting/performing their business.   Other countries and their legislation are shown below:   Germany     -     BundesDatenSchutzGesetz (BDSG)   France      -     Commision nationale de l'informatique et de                     libertes (CNIL)   UK          -     Data Protection Act (DPA)   Netherlands -     Wet PersoonsRegistraties (WPR)   Australia   -     Privacy Act of 1998 (OECD DAta Protection                     Guidelines)   Canada      -     The Personal Information Protection and                     Electronic Documents ActGavin, et al.                Informational                     [Page 24]

RFC 3098                Advertising Responsibly               April 2001References   [1]  Hambridge, S. and A. Lunde, "DON'T SPEW: A Set of Guidelines for        Mass Unsolicited Mailings and Postings (spam*)", FYI 35,RFC2635, June 1999.   [2]  Internet Spam / UCE Survey #1.http://www.survey.net/spam1r.html, July 24, 1997.   [3]  ISPs and Spam: the impact of spam on customer retention and        acquisition. Gartner Group, San Jose, CA. June 14, 1999. Pg. 7.   [4]  CompuServe Inc. v. Cyber Promotions, Inc., No. C2-96-1070 (S.D.        Ohio Oct. 24, 1996) (temporary restraining order) [WWW],        preliminary injunction entered, 962 F. Supp. 1015 (S.D. Ohio        Feb. 3, 1997) [WWW | Lexis | Westlaw], final consent order filed        (E.D. Pa. May 9, 1997)[WWW].http://www.leepfrog.com/E-Law/Cases/CompuServe_v_Cyber_Promo.htmlhttp://www.jmls.edu/cyber/cases/cs-cp2.htmlhttp://www.jmls.edu/cyber/cases/cs-cp3.html   [5]  America Online, Inc. v. Cyber Promotions, Inc., No. 96-462 (E.D.        Va. complaint filed Apr. 8, 1996) [WWW] (subsequently        consolidated with Cyber Promotions' action filed in E.D. Pa.).   [6]  Cyber Promotions, Inc. v. America Online, Inc., C.A. No. 96-        2486, 1996 WL 565818 (E.D. Pa. Sept. 5, 1996) (temporary        restraining order) [WWW | Westlaw], rev'd (3d Cir. Sept. 20,        1996), partial summary judgment granted, 948 F. Supp. 436 (E.D.        Pa. Nov. 4, 1996) (on First Amendment issues) [WWW | Lexis |        Westlaw], reconsideration denied, 948 F. Supp. 436, 447 (Dec.        20, 1996) [WWW | Lexis | Westlaw], temporary restraining order        denied, 948 F. Supp. 456 (E.D. Pa. Nov. 26, 1996) (on antitrust        claim) [WWW | Lexis | Westlaw], settlement entered (E.D. Pa.        Feb. 4, 1997) [NEWS.COM report].   [7]  America Online, Inc. v. Over the Air Equipment, Inc. (E.D. Va.        complaint filed Oct. 2, 1997) [WWW] [NEWS.COM report],        preliminary injunction entered (Oct. 31, 1997) [NEWS.COM        report], settlement order entered (Dec. 18, 1997) [Wired News        report].   [8]  America Online, Inc. v. Prime Data Worldnet Systems (E.D. Va.        complaint filed Oct. 17, 1997) [WWW] [NEWS.COM report].   [9]  Steiner, P.  "New Yorker".  July 5, 1993.  p.61.Gavin, et al.                Informational                     [Page 25]

RFC 3098                Advertising Responsibly               April 2001   [10] Spam slam -- opt-in e-mail gains favor.http://www.zdnet.com/zdnn/stories/news/0,4586,2267565,00.html.        May 28, 1999.   [11] Eastlake, D., Manros, C. and E. Raymond, "Etymology of 'Foo'",RFC 3092, April 2001.   [12] Parker, Zilker Internet Park, Inc., Parker, Rauch, Texas        Internet Service Providers Association & EFF-Austin v. C.N.        Enterprises & Craig Nowak [WWW]. Available:http://www.rahul.net/falk/zilkerjudge.txt   [13] Parker, Zilker Internet Park, Inc., Parker, Rauch, Texas        Internet Service Providers Association & EFF-Austin v. C.N.        Enterprises & Craig Nowak [WWW]. Available:http://www.jmls.edu/cyber/cases/flowers3.html   [14] WebSystems v. Cyberpromotions, Inc and Sanford Wallace [WWW].        Available:http://www.jmls.edu/cyber/cases/websys1.htmlAuthors' Addresses   Ted Gavin   Nachman Hays Consulting, Inc.   822 Montgomery Avenue, Suite 204   Narberth, PA 19072 USA   EMail: tedgavin@newsguy.com   Donald E. Eastlake 3rd   Motorola   155 Beaver Street   Milford, MA 01757   EMail: Donald.Eastlake@motorola.com   Sally Hambridge   Intel Corp   2200 Mission College Blvd   Santa Clara, CA 95052   EMail: sallyh@ludwig.sc.intel.comGavin, et al.                Informational                     [Page 26]

RFC 3098                Advertising Responsibly               April 2001Acknowledgements and Significant Contributors   JC Dill   jcdill@vo.cnchost.com   Barbara Jennings   Sandia National Laboratories   Albert Lunde   Northwestern University   April Marine   Internet Engines, Inc.Gavin, et al.                Informational                     [Page 27]

RFC 3098                Advertising Responsibly               April 2001Full Copyright Statement   Copyright (C) The Internet Society (2001).  All Rights Reserved.   This document and translations of it may be copied and furnished to   others, and derivative works that comment on or otherwise explain it   or assist in its implementation may be prepared, copied, published   and distributed, in whole or in part, without restriction of any   kind, provided that the above copyright notice and this paragraph are   included on all such copies and derivative works.  However, this   document itself may not be modified in any way, such as by removing   the copyright notice or references to the Internet Society or other   Internet organizations, except as needed for the purpose of   developing Internet standards in which case the procedures for   copyrights defined in the Internet Standards process must be   followed, or as required to translate it into languages other than   English.   The limited permissions granted above are perpetual and will not be   revoked by the Internet Society or its successors or assigns.   This document and the information contained herein is provided on an   "AS IS" basis and THE INTERNET SOCIETY AND THE INTERNET ENGINEERING   TASK FORCE DISCLAIMS ALL WARRANTIES, EXPRESS OR IMPLIED, INCLUDING   BUT NOT LIMITED TO ANY WARRANTY THAT THE USE OF THE INFORMATION   HEREIN WILL NOT INFRINGE ANY RIGHTS OR ANY IMPLIED WARRANTIES OF   MERCHANTABILITY OR FITNESS FOR A PARTICULAR PURPOSE.Acknowledgement   Funding for the RFC Editor function is currently provided by the   Internet Society.Gavin, et al.                Informational                     [Page 28]

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