Advertisers increasingly want to point out eco-friendly features in their consumer products and services. The FTC has now issued its long-awaited, updated 鈥淕reen Guides鈥 to address such claims.
The 鈥淕uides for the Use of Environmental Marketing Claims鈥 provide the FTC鈥檚 current views about 鈥済reen鈥 advertising and are designed to 鈥渉elp marketers avoid making environmental marketing claims that are unfair or deceptive鈥 under the Federal Trade Commission Act, 15 U.S.C. 搂 45.
The Guides run 36 pages, but the basic message is simple. Do not lie, misrepresent, stretch the truth, or hide the facts when making advertising claims about the environmental attributes of products or services. The Guides set out general FTC principles as well specific guidance on particular sorts of claims, and will be the basis for FTC enforcement actions. The Guides provide numerous useful examples on applying them to common situations, in easy-to-read format. They approach environmental advertising claims 鈥 both express and implied 鈥 from the standpoint of the consumer. In summary:
- Qualifications and disclosures should be 鈥渃lear, prominent, and understandable鈥 using 鈥減lain language and sufficiently large type.鈥
- What is recyclable? Is it the package or the product? That needs to be clear.
- Eco-claims should not be overstated. The Guides provide as an example a claim that a rug is labeled as 鈥50 percent more recycled content than before,鈥 when the recycled content increased from two to three percent. While technically accurate, the claim will likely convey a false impression to consumers.
- As with any comparative claims, substantiation is needed, and the basis for the comparison should be 鈥渃lear to avoid consumer confusion about the comparison.鈥
- The Guides note, 鈥淚t is deceptive to misrepresent, directly or by implication, that a product, package, or service offers a general environmental benefit.鈥 Such claims are difficult to interpret and incorrectly convey that the use of a product has no negative environmental impact. 鈥淏ecause it is highly unlikely that marketers can substantiate all reasonable interpretations of these claims, marketers should not make unqualified general environmental benefit claims.鈥 A given make of auto may emit fewer pollutants than other autos, but that is not necessarily an environmental benefit. In the eyes of the FTC, it is only a lesser environmental harm. The Guides note that terms like 鈥渆co-smart鈥 and 鈥渆co-friendly鈥 imply a general environmental benefit that may not be possible to substantiate.
- Technical matters, such as claims about carbon offsets or that a product is compostable, degradable, or recyclable, need to be substantiated with good science. Claims that a product is recyclable also need to take into account whether there is a market for recycling that particular product.
- Certifications and seals of approval need to be legitimate, third-party endorsements, not in-house or captive creations.
- The Guides take an interesting approach to 鈥渇ree of鈥 claims and similar 鈥渘on-toxic鈥 or 鈥渙zone-safe鈥 claims. A product may be 鈥渇ree of X,鈥 but if it contains Y, and Y is comparable to X, the claim is inappropriate. Any claim that a product is 鈥渇ree of鈥 something (or 鈥渘on-toxic,鈥 or 鈥渙zone-free鈥) 鈥渟hould be clearly and prominently qualified to the extent necessary to avoid deception.鈥
- Claims that a product is made with renewable energy likewise need to be qualified if, for example, any fossil fuel or electricity derived from fossil fuel is used to manufacture any part of the item or power any part of the service, absent offsets through renewable energy certificates.
- Claims of 鈥渞enewable materials鈥 or 鈥渟ource reduction鈥 also receive special scrutiny.
The Guides were issued October 1, 2012 and are found in 16 C.F.R. 搂 260. They are available online at .
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Paul Bargren
Milwaukee, Wisconsin
414.297.5537
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