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FAQ: Mail, Internet, or Telephone Order Merchandise Rule
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Mail, Internet, or Telephone Order Merchandise Rule
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Can we provide a delay option notice by posting it on the Customer’s "Order-Status" Page of our Website?
Can we Say 48 Hours "Most of the Time" according to the Mail, Internet, or Telephone Order Merchandise Rule?
Can we Send the Delay Option Notice to the Customer’s Email Address according to the Mail, Internet, or Telephone Order Merchandise Rule?
We Offer to Ship Merchandise Ordered by Mail or Telephone and to Bill the Customer Later. Are we Covered by the Rule?
We Want to Sell by Mail or Telephone a Product that is Not Yet Available, Does the Rule Apply?
What a First Delay Option Notice Must Say according to the Mail, Internet, or Telephone Order Merchandise Rule
What are Shipment Representations according to the Mail, Internet, or Telephone Order Merchandise Rule?
What are Tips for Complying with the Mail, Internet, or Telephone Order Merchandise Rule.
What do I Need to Know about Mail and Telephone Orders?
What Does the Mail, Internet, or Telephone Order Merchandise Rule Cover?
What is the Mail, Internet, or Telephone Order Merchandise Rule?
What Must be in Later Notices according to the Mail, Internet, or Telephone Order Merchandise Rule?
What Rules must a Company Follow if it Sells Products via Mail Order?
What the Rule does Not Cover according to the Mail, Internet, or Telephone Order Rule?
What you Must Know Before you Make a Shipment Representation under the Mail, Internet, or Telephone Order Rule.
Why you Should Comply with the Mail, Internet, or Telephone Order Merchandise Rule
Why you Should Keep Records according to the Mail, Internet, or Telephone Order Merchandise Rule