Both the administrative law judge’s decision in LabMD and the Third Circuit’s recent decision in Wyndham, which we previously blogged about, put the FTC on notice that it cannot assume that in the wake of a security breach,...more
The recent settlement entered into between the Federal Trade Commission (FTC) Wyndham Hotels and Resorts and related companies (Wyndham) provides an important roadmap for companies seeking to avoid running afoul of the FTC’s...more
The Third Circuit interlocutory decision in Federal Trade Commission v. Wyndham Worldwide Corporation was widely reported as a big win for the Federal Trade Commission (“FTC”). But on closer examination, it was a split...more
11/5/2015
/ Consent Order ,
Cybersecurity ,
Data Security ,
Federal Trade Commission (FTC) ,
FTC Act ,
FTC v Wyndham ,
Interlocutory Orders ,
Motion to Dismiss ,
Popular ,
Regulatory Standards ,
Unfair or Deceptive Trade Practices ,
Wyndham