Friday, May 18, 2012

Free Traffic Anyone?

I had thought that I would be rough and ready by now with my 2012 Internet Marketing campaign ……… yeah well, “The Well Laid Plans Of Mice And Bloggers”. I’ll get there, I’m just not sure when. Until I can put the pieces in place, it looks like I’ll need some content to help fill-in until I’m ready to go. Soooo ……

This month I thought I would beat the dead horse; Free Traffic! I know, I know …… you have heard it before, but it is always at the front of my mind. I just can’t shake it. On that note; here we go again.

I thought I would Google “Free Website Traffic” and got about 100 million results. To bad I failed to Google “Targeted Free Website Traffic”. After having spent 3 years in this business, and reading more material than I care to admit on the SERP’s I’m now willing to admit that Google would be just as effective if they just returned 10 results for “Free Website Traffic rather than 100 million results. In other words, he who is able to hit the front page of the SERP’s of Google …… WINS!!!

OK …… time to do the math! 100 million minus (-) 10 equals (=) 99,999,990 that can be labeled as losers in the SEO game. Now, understand me; I’m not being negative, it’s just that stats bear me out here. I, like you, figure that there has got to be a few good apples in the 99,999,990 barrel, but to hell with them! It seems that the world only has need for 10. I guess that why Amazon, and Facebook along with Google are worth billions and you’re worth only a sale or two a year.

I understand that there are always the exceptions, but by and large, Online commerce is a really disproportional game when it comes to the “level playing field”. Let’s call it the world according to Google.

Of course what puts you on page 1 of the SERP’s is if you pay Google. Several took this path to the tune of $37.9 billion dollars in 2011. I’m wondering if all made it to page 1. At the same time I guess they figured that “Free Website Traffic” wasn’t working for them either.

There is nothing that has done more harm to my Online business than the concept of “Free Targeted Website Traffic”. They sold; I bought and it cost me BIG $$$$$$$$$$$$.

Well hell …… I guess it could be worse. I guess I could be in the Insurance business where a keyword will set you back $54.91 for a click!

 

The FTC Business Opportunity Rules

As of March 1, 2012, business opportunity sellers will be required to comply with the Federal Trade Commission’s (FTC) new and finalized Business Opportunity Rule. The Final Rule now applies to previously excluded work-at-home business opportunities including envelope stuffing and craft assembly while maintaining its jurisdiction over those opportunities that were already covered by the interim rule, which has been in place for some time. It also includes opportunities where the seller promises to help the buyer to obtain customers, accounts or locations to sell its products or services.

According to the FTC, “The changes simplify the disclosures that business opportunity sellers must provide to prospective buyers” and help consumers to assess risk while “minimizing compliance burdens on businesses.” Central to the claim that the Final Rule lowers the compliance burden on business opportunity sellers is a new disclosure document, which takes the mandated seller-to-buyer exchange of information down from some 20 items to a single page.

The FTC stipulates that the new one-page document― entitled “Disclosure of Important Information about Business Opportunity”―be provided by a business opportunity seller to a prospective buyer at least seven days before any contract is signed or money is paid. Furthermore, it clearly states on the form that the prospective buyer should “Make sure that this information is the same as what the salesperson told you about this opportunity.” Finally, prospective buyers are instructed to sign and date the form and return it to the seller for his or her records.

More specifically, the new one-page document requires the business opportunity seller to disclose five key pieces of information:

  1. Identifying/contact information, including name, address, phone number, salesperson and the date.
  2. Whether or not he/she or his/her key personnel have been the subject of any legal action within the past 10 years and, if so, a list of those actions must be provided.
  3. Whether or not there is a cancellation or refund policy and, if so, a clear description of said policy.
  4. A substantiated Earnings Claim Statement, if any potential earnings are stated or implied; and,
  5. References, along with a note indicating that, should a purchase be made, that buyer’s contact information will also be disclosed to other potential buyers in the future.

The FTC further requires business opportunity sellers to keep the Disclosure Document current and update it every quarter. And in those cases where English is not the primary language used in a potential business opportunity sale, the new rule mandates that the Document and all of its disclosures be in the alternative language as well.

(Click here to obtain a copy of the Disclosure Document.)

Given the Final Rule’s length of some 50 pages, the FTC is making a concerted effort to simplify it for business opportunity sellers as much as possible. Among its online resources aimed at making these new regulations more understandable is a video focusing on “The Business Opportunity Rule,” as well as a summary document entitled “Selling a Work-at-Home or Other Business Opportunity? Revised Rule May Apply to You.”

Any business opportunity seller who meets the definition set forth in the new final rule must meet three key legal responsibilities, all of which are the primary focus of the resources named above:

  1. As already mentioned, maintaining a current Disclosure Document is critical.
  2. If sellers make an earnings claim, it has to be clearly substantiated in a separate document that is headlined with a banner reading “EARNINGS CLAIM STATEMENT REQUIRED BY LAW;” and,
  3. Sellers must avoid all deceptive practices and misleading claims. For instance, it is not simply ill-advised, but in fact it is illegal for business opportunity sellers to say anything that contradicts what is in their Disclosure Document. Additionally, sellers cannot claim they are offering a prospect a job when they’re really promoting a business opportunity―and so forth and so on.

While comprehensive in its scope as it affects the business opportunity industry, the new rule does not apply to franchises in their most literal definition. In fact, many would assert that it actually puts even greater distance between the two―reinforcing the fact that franchises traditionally constitute much more involved arrangements, while the comparatively low-cost business opportunity now involves far less complexity.

The rule also does not apply to multi-level marketing (MLM) concerns. While the FTC does recognize that there are a number of problems inherent to the MLM industry, it has determined for the time being that the Business Opportunity Rule is not the best outlet for addressing them. Rather, it has pledged to continue to challenge unfair and deceptive practices in that industry through Section 5 of the FTC Act.

Lastly, business opportunity sellers should note that―as was the case with the original Business Opportunity Rule and the amended Franchise Rule of 2007―FTC rules do not take precedence over state law unless those laws conflict with the FTC rules. Put more simply, state law is not superseded by the current Rule if it affords prospective buyers equal or greater protection. That being the case, it’s every bit as important for business opportunity sellers to understand the state laws that affect them as much as or even more so than those at the federal level.

 

Happy Third Birthday To Bloggers Market

Well, it’s that time of year again. Happy third birthday to Bloggers Market! I actually thought I would be doing something different this month. Since moving over to “Jeffrey-Morgan.com”, I thought I would use this platform to pitch products. However, I’ve sorta slid into a gray area of future products management and paying the bills around the place!

Trending … Maybe …

Anyhoo, I’m needing new content here so I thought I would take the day and celebrate, and tell some tall-tales about that Internet Lifestyle that I’m living these days. Hopefully I’ll have all things in place next month for the marketing plan.

Did Someone Mention Products?

I guess I could mention a little about what is to come here at Bloggers Market. I’m working on three projects at the moment. Two will be forthcoming and the third will be delayed a bit.

The first two will be products that deal with Blogging. I’m not sure of the timing here which has me babbling a bit as I write this, but I’ve got a “how to build and sell websites” product and the big one, which I’m about a third of the way through at this time is “Blogging Extreme”.

I’ll have to admit that its been a bit more challenging to provide myself a roadmap for products than I had originally thought. I’m not sure of the market at this time and the economy still has me a bit of stride.

Yoda Of WordPress Strikes Again!

As you might have noticed the Twitter API has been on the blink here of late. I spent an entire night re-writing the code for the API, before realizing that I had a dry feed; Yoda of WordPress strikes again. In other words all I needed to do was to tweet something and it would have come right back. I’ve been so busy lately that I’ve not had time to tweet the last month. So much for that Internet Lifestyle that I mention earlier.

That Internet Lifestyle Development Environment

As I worked through a killer security problem with, of all things, the WordPress Permalinks Structure, I realized that there was a huge security breach in the back-end of secured files and directories out-side of the WordPresss structure. I know, I know …… WHAT??? There is no way that I can address this issue here in this post and it will probably run too several pages on the WordPress Forums. In the end I found no security breach, rather it was how I had structured my development Environment. I know, I know …… WHAT???

No Fun Being Yoda Of WordPress

The WordPress Permlinks thingy was killer enough …… 12 hours worth, but the perceived “security breach” was the real killer, chasing a problem that did not exist …… Internet Lifestyle indeed! I should have been a dog groomer!