Post by account_disabled on Mar 6, 2024 0:14:16 GMT -6
Informed by the offer and advertising published in the consumer market is diffuse. Due to its integrative nature with the contract that will be signed in the future both the offer and the advertising must correctly inform about the products and services that are being launched on the consumer market.
When dealing specifically with the offer and presentation of products on the consumer market the Consumer Protection Code determines that the supplier must provide the consumer with correct clear precise conspicuous information and in Portuguese. More than that: the Consumer Protection Code determines that the supplier has factual technical and scientific data to inform legitimate interested parties data that will support and sustain the message.
This scenario must be carried over to betting when the betting operator must provide his bettor-consumer with all the necessary information to ensure responsible gambling.
In addition to identifying the advertiser of the B2B Email List bet betting advertising must provide access channels for complete information about the offer amounts involved data on the incidence of taxes and fees or discounts applicable to the eventual prize.
No less important Annex X also presents the protection of children adolescents and vulnerable people as a principle.
It is clear from reading the Betting Law and Annex advertising.
In this sense and in compliance with this principle Conar requires that all advertisements: must contain the expression “+” or the warning “prohibited for children under ”; people serving advertising must appear to be over years of age; betting advertisers must create age restriction and control mechanisms; betting advertisements must not be included in programs aimed at children under years of age; and finally only social networks whose target audience is adults may be used.
As a way of preventing the occurrence of gambling pathologies Conar established what the warning clauses presented in advertising should be similar to what is done with cigarettes and alcoholic beverages with one of the following phrases being able to be chosen:
Betting advertising must contain the following warnings:
Play responsibly;
Betting can lead to loss of money;
Chances are you're about to lose;
Betting is not investment;
Betting can cause addiction;
Betting is a matter for adults.
The warnings are clear and precise in order to prevent irresponsible gambling and addiction. They must be standardized and appear legible conspicuous and prominent.
In conclusion
Ultimately advertising must be responsible and truthful preserving consumer trust and ensuring ethics. In this sense the Betting Law comes at a good time to regulate provide transparency and information for games in order to preserve the mental and financial health of gamblers-consumers.
When dealing specifically with the offer and presentation of products on the consumer market the Consumer Protection Code determines that the supplier must provide the consumer with correct clear precise conspicuous information and in Portuguese. More than that: the Consumer Protection Code determines that the supplier has factual technical and scientific data to inform legitimate interested parties data that will support and sustain the message.
This scenario must be carried over to betting when the betting operator must provide his bettor-consumer with all the necessary information to ensure responsible gambling.
In addition to identifying the advertiser of the B2B Email List bet betting advertising must provide access channels for complete information about the offer amounts involved data on the incidence of taxes and fees or discounts applicable to the eventual prize.
No less important Annex X also presents the protection of children adolescents and vulnerable people as a principle.
It is clear from reading the Betting Law and Annex advertising.
In this sense and in compliance with this principle Conar requires that all advertisements: must contain the expression “+” or the warning “prohibited for children under ”; people serving advertising must appear to be over years of age; betting advertisers must create age restriction and control mechanisms; betting advertisements must not be included in programs aimed at children under years of age; and finally only social networks whose target audience is adults may be used.
As a way of preventing the occurrence of gambling pathologies Conar established what the warning clauses presented in advertising should be similar to what is done with cigarettes and alcoholic beverages with one of the following phrases being able to be chosen:
Betting advertising must contain the following warnings:
Play responsibly;
Betting can lead to loss of money;
Chances are you're about to lose;
Betting is not investment;
Betting can cause addiction;
Betting is a matter for adults.
The warnings are clear and precise in order to prevent irresponsible gambling and addiction. They must be standardized and appear legible conspicuous and prominent.
In conclusion
Ultimately advertising must be responsible and truthful preserving consumer trust and ensuring ethics. In this sense the Betting Law comes at a good time to regulate provide transparency and information for games in order to preserve the mental and financial health of gamblers-consumers.