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Overview

Considered one of the most stringent anti-spam regimes in the world given its breadth, scope and penalties, Canada's Anti-Spam Legislation will have a significant impact on the electronic communication practices of businesses operating in the Canadian marketplace. This QuickCounsel focuses on what businesses need to know to comply with CASL's anti-spam provisions, which came into force on July 1, 2014. CASL also contains provisions related to the unsolicited installation of computer programs or software but those provisions do not come into force until January 15, 2015, and are not addressed in this QuickCounsel.

Background

CASL was enacted in December 2010, but significant concerns raised by Canadian stakeholders regarding the potential impact of the legislation resulted in multiple rounds of public consultation and lengthy delays. The Canadian Radio-television and Telecommunications Commission's Electronic Commerce Protection Regulations (CRTC) (the "CRTC Regulations") were finalized in March 2012 and final Industry Canada Electronic Commerce Protection Regulations ("IC Regulations") were published on December 4, 2013.

Anti-Spam Prohibition

Subject to limited exceptions, CASL prohibits the sending of a commercial electronic message (a "CEM") to an electronic address unless: (1) the person to whom the message is sent has consented to receiving it; and (2) the message complies with prescribed form and content requirements. An electronic message that is sent to request consent to send CEMs is itself considered a CEM, which may not be sent without consent (subject to the exceptions discussed below). This is a significant distinction from the CAN-SPAM Act in the U.S.

A CEM is defined broadly as an electronic message (e.g., email, text message, social media message) that has as its purpose, or one of its purposes, to encourage participation in a commercial activity. A Commercial activity includes any transaction, act or conduct or any regular course of conduct that is of a commercial character, whether or not the person who carries it out does so in the expectation of profit. This is another significant distinction from the CAN-SPAM Act in the U.S.

The Consent Requirement

In general, consent to receive a CEM must be express. However, under CASL consent may also be implied in certain limited circumstances, which are discussed in more detail below.

Guidance documents published by the CRTC have made it clear that "a positive or explicit indication of consent is required" to comply with the express consent requirements of CASL. This impacts a common industry practice of using an opt-out or negative option method of obtaining consent for marketing, such as a pre-checked consent box that a consumer has to un-check to signify they do not wish to receive marketing messages is also another significant distinction from the CAN-SPAM Act in the U.S. Instead, a person must take an active step (e.g., checking a box) to indicate his or her consent. The guidelines also state that requests for consent cannot be "subsumed in or bundled with requests for consent to the general terms and conditions of use or sale" but rather must be clearly and separately identified.

To be valid, a request for express consent under CASL must set out "clearly and simply":

  • The purpose for which consent is being sought;
  • The name (or if different, business name) of the person seeking consent;
  • If the consent is sought on behalf of another person, the name (or if different, business name) of the person on whose behalf consent is sought and a statement indicating which person is seeking consent and which person on whose behalf consent is sought;
  • The mailing address, and one of a telephone number providing access to an agent or voice messaging system, an email address or a web address of the person seeking consent or, if different, the person on whose behalf consent is sought; and
  • A statement that the person can withdraw their consent.

Although CASL generally requires express consent, consent will be implied in the following circumstances:

Where the recipient and the sender have an "existing business relationship" or an "existing non-business relationship.

  • An existing business relationship exists where the sender and recipient have engaged in certain specified types of business together in the two years preceding the date on which the CEM is sent (for example, a purchase or lease of a product, good or service, or entering into or continuing a written contract) or where the recipient of the CEM has made an inquiry to the sender in the previous six months. An existing non-business relationship exists between the sender and the recipient where the recipient has made a donation or gift in the last two years, or performed volunteer work in the last two years, to or for a registered charity or political party, organization or candidate or where the recipient is a member of certain clubs, associations or voluntary organizations.
Where a recipient has "conspicuously published" his or her electronic address, the publication is not accompanied by a statement that the recipient does not wish to receive unsolicited CEMs, and the CEM is relevant to the person's business, role, functions or duties in a business or official capacity.

Where a recipient has disclosed his or her electronic address to the sender without indicating that the recipient does not wish to receive unsolicited CEMs and the CEM is relevant to the person's business, role, functions or duties in a business or official capacity. This is sometimes dubbed the "business card" exemption.

Exemptions

CASL exempts the following types of CEMs from its anti-spam prohibition altogether:

  • CEMs sent by an individual to an individual recipient with whom the sender has a personal or family relationship ("personal relationship" and "family relationship" are specifically defined in the IC Regulations).
  • Legal entities, such as corporations and not-for-profit organizations, cannot have a personal relationship under CASL.
  • CEMs sent to a person engaged in a commercial activity and consist solely of an inquiry or application related to that activity.

The IC Regulations also add the following exemptions from the anti-spam prohibition:

  • CEMs sent by an employee, representative, consultant or franchisee of an organization to another employee, representative, consultant or franchisee of the same organization (i.e., intra-business) which concern the activities of the organization. CEMs sent by an employee, representative, consultant or franchisee of an organization to an employee, representative, consultant or franchisee of another organization (i.e., inter-business), as long as the organizations have a relationship and the message concerns the activities of the organization to which the message is sent.
  • This exemption is intended to address concerns regarding the potential application of CASL to ordinary business-to-business communications, and has been slightly broadened from the last draft of the IC Regulations. In particular, the requirement in the last draft for a "business relationship" between the two organizations is now only a requirement for a "relationship".
  • CEMs sent in response to an individual's request, inquiry or complaint or where the CEM was otherwise solicited by the person to whom the CEM is sent. CEMs sent to satisfy a legal obligation or to enforce or provide notice of existing or pending legal rights or actions. CEMs sent and received on an electronic messaging service, such as one provided through a social media platform, if the information and unsubscribe mechanism that are required under CASL are conspicuously published and readily available on the user interface through which the message is accessed, and the person to whom the message is sent consents to receive it either expressly or by implication. CEMs sent to a limited-access secure and confidential account, such as a message centre in an online banking account, to which messages can only be sent by the person who provides the account to the person who receives the message. CEMs sent by a person who reasonably believes the message will be accessed in a foreign state that is listed in the schedule to the IC Regulations and the message conforms to the law of the foreign state that addresses conduct that is substantially similar to conduct prohibited under CASL's anti-spam prohibition. CEMs sent by or on behalf of a registered charity as defined in the Income Tax Act and the message has as its primary purpose raising funds for the charity. CEMs sent by or on behalf of a political party or organization, or a person who is a candidate for publicly elected office, and the message has as its primary purpose soliciting a contribution as defined in the Canada Elections Act.

CASL also exempts the following CEMs from the consent requirement (though these CEMs must still comply with CASL's form and content requirements), if the CEM solely:

  • Provides a quote or estimate for the supply of a product, good or service, if the quote or estimate was requested by the recipient; Facilitates, completes or confirms a commercial transaction between the parties where the recipient previously agreed to enter into such a transaction; Provides warranty, product recall, safety or security information about a product, good or service that the recipient uses, has used or has purchased; Provides notification of factual information about the ongoing use or purchase by the recipient of a product, good or service offered under a subscription, membership, account, loan or similar relationship; Provides notification of factual information about an ongoing subscription, membership, account or loan; Provides information directly related to an employment relationship or benefit plan in which the recipient is currently involved, participating or enrolled; or Delivers a product, good or service, including updates or upgrades further to a transaction that has been previously entered into.

The IC Regulations also set out an additional exemption that applies only to the first CEM sent to an individual following a referral, provided the referral is from an individual who has an existing business, non-business, personal or family relationship with both the recipient and the sender. The CEM must disclose the full name of the referring party and state that the CEM is sent as a result of the referral.
 

Conditions for Use of Consent Obtained on Behalf of a Person Whose Identity was Unknown

CASL provides that a person may, on behalf of an unknown third party, obtain the express consent of another person to receive CEMs from the third party, as long as certain conditions set out in CASL and the IC Regulations are met. The IC Regulations set out somewhat burdensome conditions for the use of this type of consent by third parties.

Form and Content Requirements

In addition to the consent requirement, CASL sets out specific form and content requirements for CEMs. In particular, each CEM must identify the sender, provide prescribed contact information for the sender, and set out an "unsubscribe" mechanism. The prescribed contact information includes:

  • The name of the person sending the message; If the message is being sent on behalf of another person, the name of the person on whose behalf the message is being sent; A statement indicating which person is sending the message and which person on whose behalf the message is being sent; The mailing address and one of a telephone number providing access to an agent or voice message system, or an email address, or a web address of the person sending the message or the person on whose behalf the message is sent; and

The unsubscribe mechanism that must be included in each CEM must enable the recipient to indicate, at no cost to them, that they no longer wish to receive CEMs from the sender. The unsubscribe mechanism must be valid for at least 60 days after the CEM is sent, and effect must be given to the unsubscribe mechanism without delay, and in any case within 10 business days. The CRTC clarifies that a valid unsubscribe mechanism may be set up in numerous ways and may be as broad or as granular as the sender wishes it to be (provided that it meets the requirements of the legislation). In other words, the CEM may offer the recipient the choice between unsubscribing from all or just certain types of CEMs.

Aiding and Abetting Clause

Under CASL, it is an offence "to aid, induce, procure or cause to be procured the doing of any act contrary to" certain sections, including the provisions relating to sending CEMs. Accordingly, refer-a-friend promotions must be carefully structured to take into account requirements under CASL.

 

Penalties

Under CASL, it is an offence "to aid, induce, procure or cause to be procured the doing of any act contrary to" certain sections, including the provisions relating to sending CEMs. Accordingly, refer-a-friend promotions must be carefully structured to take into account requirements under CASL.

Conclusion

Organizations should ensure to build and implement compliance programs that meet the strict standards of CASL. In order to get onside with the law, organizations should consider the general compliance strategies identified in the Blakes Bulletin published on December 10, 2013.

Additional Resources

Industry Canada, Regulatory Impact Analysis Statement

Memorandum of Understanding for Cooperation, Coordination and Information Sharing Between the Commissioner of Competition, the CRTC and the Privacy Commissioner of Canada regarding the Implementation of their Mandates under CASL

Industry Canada, Fight Spam Quiz

Industry Canada, FAQs

CRTC, FAQs

Region: Canada
The information in any resource collected in this virtual library should not be construed as legal advice or legal opinion on specific facts and should not be considered representative of the views of its authors, its sponsors, and/or ACC. These resources are not intended as a definitive statement on the subject addressed. Rather, they are intended to serve as a tool providing practical advice and references for the busy in-house practitioner and other readers.
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