Unsolicited Email. MONAT does not permit Market Partners to send unsolicited commercial emails unless such emails strictly comply with applicable laws and regulations including, without limitation, the federal CAN SPAM Act. Any email sent by a Market Partner that promotes MONAT, the MONAT opportunity, or MONAT products must comply with the following:
a) There must be a functioning return email address to the sender.
b) There must be a notice in the email that advises the recipient that he or she may reply to the email, via the functioning return email address, to request that future email solicitations or correspondence not be sent to him or her (a functioning “opt-out” notice).
c) The email must include the Market Partner’s physical mailing address.
d) The email must clearly and conspicuously disclose that the message is an advertisement or solicitation.
e) The use of deceptive subject lines and/or false header information is prohibited.
f) All opt-out requests, whether received by email or regular mail, must be honored. If a Market Partner receives an opt-out request from a recipient of an email, the Market Partner must forward a copy of the opt-out request to the Company. MONAT may periodically send commercial emails on behalf of Market Partners. By entering into the Market Partner Agreement, Market Partner agrees that the Company may send such emails and that the Market Partner’s physical and email addresses will be included in such emails as outlined above. Market Partners shall honor opt-out requests generated as a result of such emails sent by the Company.
Unsolicited Email. The use of the Services and/or Third Party Services to send or receive mass unsolicited email (“SPAM”). This prohibition includes the direct sending and receiving of such messages, support of such messages via web page, splash page or other related sites, or the advertisement of such services. The falsifying of packet header, sender, or user information whether in whole or in part to mask the identity of the sender, originator or point of origin or knowingly deleting any author attributions, legal notices or proprietary designations or labels in a file that the Customer mails or sends.
Unsolicited Email. The sending of mass unsolicited email (SPAM) is a direct violation of Xxxxxxxxx’s AUP. This includes the direct sending of such messages, support of such messages via web page, splash page or other related sites, or the advertisement of such services. Email ports on customer servers may be blocked by default. Customers can request these ports be unblocked by opening a ticket in the Client Area.
Unsolicited Email. Novae does not permit Affiliates to send unsolicited commercial emails unless such emails strictly comply with applicable laws and regulations including, without limitation, the federal CAN SPAM Act. Any email sent by an Affiliate that promotes Novae, the Novae opportunity, or Novae products and services must comply with applicable law and including the following:
(i) There must be a functioning return email address to the sender;
(ii) There must be a notice in the email that advises the recipient that he or she may reply to the email, via the functioning return email address, to request that future email solicitations or correspondence not be sent to him or her (a functioning "opt- out" notice);
(iii) The email must include the Affiliate's physical mailing address;
(iv) The email must clearly and conspicuously disclose that the message is an advertisement or solicitation;
(v) The use of deceptive subject lines and/or false header information is prohibited;and
(vi) All opt-out requests, whether received by email or regular mail, must be honored. If an Affiliate receives an opt-out request from a recipient of an email, the Affiliate must forward the opt-out request to the Company. Novae may periodically send commercial emails on behalf of Affiliates. By entering into the Affiliate Agreement, Xxxxxxxxx agrees that the Company may send such emails and that the Affiliate's physical and email addresses will be included in such emails as outlined above. Affiliates shall honor opt-out requests generated as a result of such emails sent by the Company.
Unsolicited Email. Etex strictly prohibits using the Internet service to transmit any unsolicited commercial email or unsolicited bulk email. Etex also prohibits falsifying user information, including falsification of email address, when sending emails using the Internet service.
Unsolicited Email. WOR(l)D does not permit members to send unsolicited commercial emails unless such emails strictly comply with applicable laws and regulations including, without limitation, the federal CAN SPAM Act and Global and International regulations. The costumer agrees to be bound by this legislation. Any email sent by an member that promotes WOR(l)D, the WOR(l)D Opportunity, or WOR(l)D products and services must comply with the following: • There must be a functioning return email address to the sender; • There must be a notice in the email that advises the recipient that he or she may reply to the email, via the functioning return email address, to request that future email solicitations or correspondence not be sent to him or her (a functioning "opt-out" • notice); • The email must clearly and conspicuously disclose that the message is an advertisement or solicitation; • The use of deceptive subject lines and/or false header information is prohibited; • All opt-out requests, whether received by email or regular mail, must be honored. If an member receives an opt-out request from a recipient of an email, the member must forward the opt-out request to the Company.
Unsolicited Email. Beachbody does not permit Coaches to send unsolicited commercial emails unless such emails strictly comply with applicable laws and regulations, including, without limitation, the federal CAN SPAM Act. Any email sent by a Coach that promotes Beachbody, the Beachbody Coach Business Opportunity, or Beachbody products and services must comply with the following:
i. There must be a functioning return email address to the sender.
ii. There must be a clear and conspicuous notice in the email (at least 10-point bold font) that advises the recipient that he or she may reply to the email, via the functioning return email address, to request that future email solicitations or correspondence not be sent to him or her (a functioning “opt- out” notice).
iii. The email must include the Coach’s physical mailing address.
iv. The email must clearly and conspicuously disclose that the message is an advertisement or solicitation.
v. The use of deceptive subject lines and/or false header information is prohibited.
vi. All opt-out requests, whether received by email or regular mail, Effective 09/12/08 XxxxXxxxxxxxx.xxx 3 COACH POLICIES and PROCEDURES/COACH COMPENSATION PLAN must be promptly honored. If a Coach receives an opt-out request from a recipient of an email, the Coach must forward the opt-out request to the Company. Beachbody may periodically send commercial emails on behalf of Coaches. By entering into the Coach Agreement, the Coach agrees that the Company may send such emails and that the Coach’s name and physical and email addresses may be included in such emails as outlined above. Coaches shall honor opt-out requests generated as a result of such emails sent by the Company.
Unsolicited Email. The Cooperative strictly prohibits using the Internet service to transmit any unsolicited commercial email or unsolicited bulk email. The Cooperative also prohibits falsifying user information, including falsification of email address, when sending emails using the Internet service.
Unsolicited Email. JewelScent does not permit Consultants to send unsolicited commercial emails unless such emails strictly comply with applicable laws and regulations including, without limitation, the federal CAN SPAM Act. Any email sent by a Consultant that promotes JewelScent, the JewelScent opportunity, or JewelScent products must comply with the following:
1. There must be a functioning return email address to the sender.
2. There must be a notice in the email that advises the recipient that he or she may reply to the email, via the functioning return email address, to request that future email solicitations or correspondence not be sent to him or her (a functioning “opt-out” notice).
3. The email must clearly and conspicuously disclose that the message is an advertisement or solicitation.
4. The use of deceptive subject lines and/or false header information is prohibited.
5. All opt-out requests, whether received by email or regular mail, must be honored. If a Consultant receives an opt-out request from a recipient of an email, the Consultant must forward the opt-out request to the Company. JewelScent may periodically send commercial emails on behalf of Consultants. By entering into the Consultant Agreement, Consultant agrees that the Company may send such emails and that the Consultant’s email addresses will be included in such emails as outlined above. Consultants shall honor opt-out requests generated as a result of such emails sent by the Company.
Unsolicited Email. VYVO does not permit members to send unsolicited commercial emails unless such emails strictly comply with applicable laws and regulations including, without limitation, the federal CAN SPAM Act and Global and International regulations. The costumer agrees to be bound by this legislation. Any email sent by an member that promotes VYVO, the VYVO Opportunity, or VYVO products and services must comply with the following: ● There must be a functioning return email address to the sender; ● There must be a notice in the email that advises the recipient that he or she may reply to the email, via the functioning return email address, to request that future email solicitations or correspondence not be sent to him or her (a functioning "opt-out" ● notice); ● The email must clearly and conspicuously disclose that the message is an advertisement or solicitation; ● The use of deceptive subject lines and/or false header information is prohibited; ● All opt-out requests, whether received by email or regular mail, must be honored. If an member receives an opt-out request from a recipient of an email, the member must forward the opt-out request to the Company.