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Disclaimers Political Advertising

Wiley Rein LLP

Three Legal Considerations for Grassroots, Grasstops, and Public Affairs Campaigns

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Spending on federal and state lobbying continues to soar – a reality that has created new challenges for companies, trade associations, and other groups trying to advance their advocacy goals. To supplement their direct...more

Wiley Rein LLP

Federal Electioneering Communication Rules Apply Starting September 6; May Impact Your Grassroots Lobbying

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The federal rules for electioneering communications kick in on September 6, 2024, and run through Election Day. These rules could affect your grassroots lobbying during this 60-day period if your ads are on radio or...more

Holtzman Vogel Baran Torchinsky & Josefiak

Google to Require Disclaimer on Political Ads with AI-Generated Content: Move Follows Proposed Legislation and Efforts to Prompt...

Google announced last week that it will require special disclaimers on political advertisements that feature “synthetic content that inauthentically depicts real or realistic-looking people or events” beginning in November...more

Holtzman Vogel Baran Torchinsky & Josefiak

FEC Approves New Internet Disclaimer Rules: New Rule Applies to Paid Advertising on Websites, Digital Devices, Applications, and...

On December 1, the Federal Election Commission (FEC) approved new regulations that expand the agency’s internet disclaimer requirements. The regulations will become effective 30 days after they are published in final form,...more

Venable LLP

FEC Adopts New Disclosure Rule for Digital Political Ads

Venable LLP on

The Federal Election Commission last week approved a final rule establishing requirements for sponsorship disclaimers on political ads. The Commission’s internet disclaimer rule has been unchanged since 2006, at times leaving...more

Wiley Rein LLP

FEC Imposes New Disclaimer Requirements for Small Digital Ads

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On Thursday, December 1, 2022, the Federal Election Commission (FEC) adopted new requirements for sponsor disclaimers on digital ads. FEC regulations have generally required full disclaimers (e.g., “Paid for by XYZ PAC and...more

Wiley Rein LLP

H.R. 1 Passes House; If Enacted, Would Significantly Change Campaign Finance and Lobbying Laws

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On March 3, the U.S. House of Representatives passed H.R. 1 by a 220-210 vote. As its designation indicates, the bill is a top priority for the Democratic majority in Congress and the Biden Administration. If enacted into...more

Wiley Rein LLP

H.R. 1 – Disclosures, Disclaimers, and FEC Certifications: What Corporations, Non-Profits, and Trade Associations Need to Know

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This episode is the first in a series of podcasts on H.R. 1, a bill that has been introduced in Congress that will affect campaign finance, lobbying, ethics, and voting laws. In this episode, Partner Mark Renaud and Special...more

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