Also be skeptical of FMOs or IMOs who claim to have discovered loopholes in the FTC's Telemarketing Sales Rule.
What does TSR stand for?
TSR stands for Telemarketing Sales Rule (US FTC)
This definition appears very frequently and is found in the following Acronym Finder categories:
- Military and Government
- Business, finance, etc.
See other definitions of TSR
We have 268 other meanings of TSR in our Acronym Attic
- Technical Software Review
- Technical Specification Requirement
- Technical Sports Racing (motorcycle racing team; Japan)
- Technical Status Review
- Technical Support Representative
- Technical Support Requirement
- Technical Support Review
- Technical Support Roundtable
- Technically Specified Rubber
- Telecommunications Service Request
- Telephone Sales Representative
- Teleregistration Service Representative
- Telesales Representative
- Telesales Service Representative
- Teleservice Representative (Social Security phone operator)
- Teleservice Segmentation and Reassembly
- Télévision Suisse Romande (Switzerland)
- Temporary Speed Restriction (railraod)
- Tensile Strength Ratio
- Terabit Switch/Router (Enron)
Samples in periodicals archive:
Under the FTC's Telemarketing Sales Rule, the vast majority of commercial robocalls are illegal unless the recipient has given the caller advance written permission to call them.
On July 29, 2010 the FTC amended the Telemarketing Sales Rule to include debt settlement companies.
Telemarketing Consumer Fraud and Abuse Prevention Act C Telemarketing Sales Rule and the Do-Not-Call Implementation Act III.
The Federal Trade Commission (FTC) has amended its telemarketing sales rule, barring telemarketing calls that deliver prerecorded messages unless a consumer previously has agreed to accept such calls from the seller.
New (and Controversial) Telemarketing Sales Rules Amendments The FTC has issued new amendments to the Telemarketing Sales Rule (TSR) which appears to have resolved one issue, split the telemarketing industry over another, and may have made regulatory compliance even more challenging.
4(b)(1)(iii)(B) of the Telemarketing Sales Rule specifically identifies the pattern of calls that are considered abusive telemarketing acts or practices and clearly states its intent for a federally maintained Do Not Call List allowing consumers the choice to add their telephone numbers to the list to try and limit the number of outbound telephone sales calls they were receiving.
The commission alleges the defendants violated both the FTC Act by misrepresenting the nature of service and the Telemarketing Sales Rule by engaging in abusive telemarketing tactics.