Skip to content

Menu

LexBlog, Inc. logo
CommunitySub-MenuPublishersChannelsProductsSub-MenuBlog ProBlog PlusBlog PremierMicrositeSyndication PortalsAboutContactResourcesSubscribeSupport
Join
Search
Close

The FTC Reflects on a Busy Year

State Attorneys General_908570654
By Keith J. Barnett, Timothy Butler, Carlin McCrory, Matthew White & Troy Jenkins on March 26, 2021
Email this postTweet this postLike this postShare this post on LinkedIn

On March 25, the Federal Trade Commission (FTC or Commission) released an article reflecting on its work in 2020. The following are some of the most notable actions of the FTC in 2020:

  • The Commission launched a new website, where consumers can report scams and frauds.
  • A new initiative, called the Community Advocate Center, was created to partner with legal aid organizations to expand the FTC’s outreach to low-income communities and encourage them to report fraud.
  • Out of the FTC’s enforcement actions, 25% were against health care pharmaceuticals and medical devices, another 25% for manufacturing and chemicals, and 21% against general health care.
  • The Commission actively worked to preserve competition and challenged a number of mergers from hospitals, in-home nursing services, and pharmaceuticals, to name a few.
  • As always, the FTC stopped deceptive and unfair marketing practices. For example, several cases were brought against companies that failed to deliver on their promises for high-demand goods as a result of the pandemic.
  • In 2020, 1.66 million consumers received $106.8 million in redress directly from the FTC. An additional $376.9 million went to consumers in redress administered by others.
  • The Commission obtained 23 administrative orders; 66 redress, disgorgement, and permanent injunction orders; and eight civil penalty orders.

We are not expecting the FTC to slow down in 2021. Biden’s nomination of Lina Khan, as discussed in our recent blog post, is a clear signal that the FTC — and other federal consumer protection agencies — will pursue an aggressive enforcement strategy during the Biden administration.

Photo of Keith J. Barnett Keith J. Barnett

Keith Barnett is a litigation, investigations (internal and regulatory), and enforcement attorney with more than 15 years of experience representing clients in the financial services and professional liability industries.

Read more about Keith J. BarnettEmailKeith's Linkedin Profile
Photo of Timothy Butler Timothy Butler
EmailTimothy's Linkedin Profile
Photo of Carlin McCrory Carlin McCrory

Carlin is a regulatory, compliance, and payments attorney with experience representing financial institutions, fintechs, lenders, debt collectors, payment processors, neobanks, virtual currency companies, and mortgage servicers.

Read more about Carlin McCroryEmail
Photo of Matthew White Matthew White
Email
Photo of Troy Jenkins Troy Jenkins
EmailTroy's Linkedin Profile
  • Posted in:
    Financial
  • Blog:
    Consumer Financial Services Law Monitor
  • Organization:
    Troutman Pepper Hamilton Sanders LLP
  • Article: View Original Source

LexBlog, Inc. logo
Facebook LinkedIn Twitter RSS
Real Lawyers
99 Park Row
  • About LexBlog
  • Careers
  • Press
  • Contact LexBlog
  • Privacy Policy
  • Editorial Policy
  • Disclaimer
  • Terms of Service
  • RSS Terms of Service
  • Products
  • Blog Pro
  • Blog Plus
  • Blog Premier
  • Microsite
  • Syndication Portals
  • LexBlog Community
  • 1-800-913-0988
  • Submit a Request
  • Support Center
  • System Status
  • Resource Center

New to the Network

  • GovCon & Trade
  • Pro Policyholder
  • The Way on FDA
  • Crypto Digest
  • Inside Cybersecurity & Privacy Law
Copyright © 2022, LexBlog, Inc. All Rights Reserved.
Law blog design & platform by LexBlog LexBlog Logo