On behalf of FMI – The Food Industry Association, I write regarding the advance notice of proposed rulemaking (ANPR) on whether the Federal Trade Commission (FTC) should prescribe new trade regulation rules or other regulatory alternatives concerning commercial surveillance and data security practices (Docket FTC-2022-0053). FMI and its member companies are committed to maintaining and strengthening consumer trust, loyalty, and preferences for customized shopping experiences, and we welcome the opportunity to respond.
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