Back in March 2013 (where was I?) those pesky fellows at the FTC created a new PDF outlining the use of Social Media tactics and links etc for those of us who review. Basically, not only do we have to increase the font of our fine print for disclosures (as in those who have them at the bottom of their posts) this does not suffice the requirements for the FTC. And having a button somewhere on your site to your disclosure aka policy doesn’t work either. You must be upfront (meaning at the top of your post) and state where you received the item from to distinguish if you were compensated for the post in any way (coupons, virtual points redeemable for something in the future, galleys, ARCs) and it must be “clear and conspicuous” before we get to “distracting” hyperlinks or gimmicks.
Most importantly, it wants that source to be stated BEFORE any links to “buy here” are able to be clicked. The FTC also specifically stated that NO SCROLLING should be required when a viewer is looking at your reviewed product, your readers must be able to see within that screen that you have received that item for free. They also went into affiliate marketing and how to handle those links *bangs head on desk*, but since I do not do that I didn’t read too much about that quagmire.
Many book bloggers like myself already state fairly close to/underneath the book’s image and information where the review book came from. So the true revelations in 2013 Guidelines aren’t too bad – until you get to the way you tweet, facebook, Google Plus about the books you have read and reviewed. *bangs head on desk*
These social media posts/tweets which state anything positive in nature about an item you have received for free must also include in the beginning of that status update/tweet the ‘Ad’ or ‘Sponsor’ notation. That twitter follower of yours MUST understand before they click your link that you are marketing an item that you have been compensated for in some way, either via the ARC, galley, or perhaps an exclusive spot on a review list.*bangs head on desk*
As I discussed this on facebook, most bloggers were perturbed *as am I*, but then again most also felt that the FTC wouldn’t target THEM in particular, we’re the little guy, etc and so why should I care so much? It’s not like the book bloggers are similar to the product review bloggers such as Mommy Bloggers, who seem to get free makeup, toys, strollers, kitchenware etc. Why go after book bloggers?
I care because these are Rules. There is a social etiquette being put in place, and as much as I despise the government getting in the way of our personal blogging, if one person feels compelled to follow the law, I feel others should, too. Those who break the rules get an unfair advantage, so to speak. That’s my current opinion, and as a blogger I’m entitled to it. But then again, I wonder, is this FTC Dot Com Guideline thing an actual LAW? Yes, it states that it is, and that it covers virtually every sector in the economy. If we fail to follow the guidelines, the FTC will find ways to enforce it: “the Commission might bring an enforcement action alleging an unfair or deceptive practice in violation of the FTC Act”.
But it also went into how this applies to endorsing a product… which means positive reviews.. so if it’s a somewhat critical negative review, then I guess that means we can ignore all these little rules..
Which opens up a whole other can of worms into what star rating would officially mean somewhat not positive, bwahahaha!!
“Three stars is good!”
“No way, that’s a low rating in my opinion!”
“That means it was just okay, so is that good or bad?
*bangs head on desk*”
“What about 3.5 stars?”
*bangs head on desk*
And what about the flurry of BEST OF 2013 posts we will see at the end of the year? Doesn’t that IMPLY in itself a positive reaction to a book? And what if one of those books on the list was a review title? All our tweets and FB posts have to say “AD: Best of 2013 at BBR!” or even snazzier: “Sponsored: Best of 2013 at BBR!” *bangs head on desk*
Another tricky question, for those sites who are virtual tour companies, blogging for books type campaigns or review sites such as HNS or even Kirkus Reviews etc.: Shouldn’t those companies also be showing the word AD everywhere when they repeat a positive line from a review? Why is the FTC targeting the specific blogger, and not starting at the top and making the publicity companies comply first? Why does the little person have to be the one to do everything? But the Canadian bloggers were thrilled to not have to be subject to the FTC regulations. Canada is looking better and better every day! Je m’appelle Marie, et vous?
*gets ice pack and Excedrin.*
Edit to add: I was not compensated for this review of the Guidelines in any way. Do comments on my blog count as compensation?
Edit to add: I am not a lawyer and this is merely a raving lunatic editorial/opinion post .
Edit to Add: Again this is all interpretation. Would love a specific guide on what the FTC means to address towards book blogging. You can carry on as you will. =)