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"Membership in TASC as a vendor does not mean that TASC, its Board of Directors, or any of its member companies has approved or reviewed any of the business practices of the vendor. Each customer of this vendor should exercise their own diligence as to legal and business issues prior to use."
FAQ
 
  9. Are your telemarketing activities in compliance with US laws       pertaining to telemarketing?
Yes all our telemarketing activities are in compliance with US laws and National/State Do not call registry.


Leadgenx Adherence to the Compliance Parameters:
Telemarketing and Consumer Fraud and Prevention Act (TCFPA)
The Telemarketing and Consumer Fraud and Prevention Act of 1995 (TCFPA) defined abusive practices and gave the FTC the authority to enforce the TCPA.

Telephone Consumer Protection Act (TCPA)
LEADGENX maintains a master "Do-Not-Call" list apart from procuring database from the database provider who ensures that the data is scrubbed against the Latest National and State Do Not Call Lists.

LEADGENX honors a call curfew between 9PM and 8AM local time.

LEADGENX makes its Do-Not-Call policy available to consumers upon request.
LEADGENX on Consumer's request places him/her on LEADGENX's internal Do-Not-Call list at any time during a solicitation call.
LEADGENX ensures that the number is not called again by anyone in its offices for 10 years. Confidential Information

Financial Privacy: The Gramm-Leach Bliley Act

The Financial Modernization Act also known as the "Gramm-Leach-Bliley Act" or GLB Act, includes provisions to protect consumers' personal financial information held by financial institutions. There are three principal parts to the privacy requirements: the Financial Privacy Rule, Safeguards Rule and pretexting provisions. LEADGENX with the help of the Client makes sure that Financial Information of the Consumer is not hosted online and is not provided to anyone else except from the Client Leadgenx is working with and on whose behalf the information is solicited.


Telemarketing Sales Rule: (FTC's Telemarketing Sales Rule (TSR) 16-CFR Part 310.)
LEADGENX adheres to Prohibited deceptive telemarketing acts or practices where Business Architects with Conformation with the Client designs the Project that there is no Misrepresenting, directly or by implication, any of the material information, Customer is well informed before he/she pays for goods or services offered in a clear and conspicuous manner, the material information necessary.

LEADGENX adheres to Abusive telemarketing acts or practices where LEADGENX does not annoy, abuse, or harasses any person at the called number and discloses identity of the seller, purpose of the call to sell goods or services nature of the goods or services.


Record keeping requirements.
Leadgenx keeps, all records for a period of 24 months from the date the record Is produced/generated in its desired form, manner, format, or place as they keep such records in the ordinary course of business.

The seller and the telemarketer calling on behalf of the seller by written agreement, allocates responsibility between themselves for the recordkeeping required by this Section.

Apart from this the database we procure from our vendors is scrubbed against all the DNC's applicable. Leadgenx also has subscribed to www.dncsolution.com to ensure that we do not contact any customer who is listed in any DNC.
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