Post by mistyssaktersfo33 on Jan 2, 2024 14:24:06 GMT 9.5
You must be satisfied that the recipients of any cold referral emails are complicit or that you have breached data privacy laws. Contacting Newsletter Subscribers Your organization offers a newsletter for sending promotional emails to subscribers who have explicitly agreed to receive promotional emails. You can use this mailing list to contact subscribers and schedule sales demos. It depends on your choice. If you allow your subscribers to opt-in to receive sales or promotional messages then the answer is yes. If they only agree to receive newsletters the answer is no. Aim to think ahead about your marketing strategy to make the most of your data. If you want to use one dataset for multiple activities you must ask in advance.
In this case it means adding specific information to your opt-in information about the sales presentation. What about upsells and cross-sells under Introducing yourself to existing customers For example if a customer signs up to buy your product you can reach out directly via email to introduce yourself and offer Email Marketing List relevant upsells? This probably passes the balancing test. I think this is okay for Ojala to say. The fact that a customer has purchased something from you means that contacting that person would fall within the legitimate interests of business continuity a privacy threat. Contact people who signed up for a giveaway.
If the potential customer is participating in a contest or giveaway, you can email participants to discuss their needs and explore sales opportunities. Ojala says it depends. He said if you contacted the person and said they were entered into the sweepstakes then you would have a legitimate reason to send the email. But this is not OK if you are contacting that person to promote an add-on sale that is not related to the sweepstakes. In other words if your giveaway is just a hook designed to collect personal data then it’s fishy. You may add a checkbox to request permission to contact entrants via email and provide marketing information but the checkbox must be completely separate and unrelated to the prize giveaway. If in doubt about your future email marketing campaigns add a clearly separate additional opt-in to your data capture.
In this case it means adding specific information to your opt-in information about the sales presentation. What about upsells and cross-sells under Introducing yourself to existing customers For example if a customer signs up to buy your product you can reach out directly via email to introduce yourself and offer Email Marketing List relevant upsells? This probably passes the balancing test. I think this is okay for Ojala to say. The fact that a customer has purchased something from you means that contacting that person would fall within the legitimate interests of business continuity a privacy threat. Contact people who signed up for a giveaway.
If the potential customer is participating in a contest or giveaway, you can email participants to discuss their needs and explore sales opportunities. Ojala says it depends. He said if you contacted the person and said they were entered into the sweepstakes then you would have a legitimate reason to send the email. But this is not OK if you are contacting that person to promote an add-on sale that is not related to the sweepstakes. In other words if your giveaway is just a hook designed to collect personal data then it’s fishy. You may add a checkbox to request permission to contact entrants via email and provide marketing information but the checkbox must be completely separate and unrelated to the prize giveaway. If in doubt about your future email marketing campaigns add a clearly separate additional opt-in to your data capture.