Consent and suppression, ad-platform permissions, disclosures, testimonial honesty and channel-specific rules.
Maintain separate permission purposes for marketing and transactional/utility notices. Opt-out should be honored per channel; silence must not be treated as consent. Providers can impose approved templates, quotas, messaging windows and separate fees. Customer is responsible for lawful recipient lists and business content, while Noxtill operates platform safeguards and suppression where it controls sending.
Recommended default public offer:
An eligible referrer receives a reward equal to 50% of the Net Referral Revenue from the referred customer’s first qualifying paid subscription payment, unless the applicable campaign expressly states a different eligible period.
“Net Referral Revenue” should mean cash actually received after refunds, credits, chargebacks, reversals, taxes and any payment-fee treatment expressly stated by the program.
- valid Noxtill account or approved partner;
- referral code/link attribution under stated rules;
- no self-referral, duplicate company cycling or fake accounts;
- no spam or unlawful messaging;
- no misleading income/performance claims;
- no restricted trademark bidding if prohibited by campaign terms;
- material financial connection must be clearly disclosed when endorsing Noxtill;
- tax/payout information may be required.
FTC guidance treats financial relationships, discounts or commissions as material connections that should be clearly and conspicuously disclosed.
Rewards become payable only after the qualifying payment clears and any stated refund/fraud hold expires. Refund, chargeback, fraud or payment reversal can cancel/reverse the related reward.
Noxtill may change future referral rates prospectively, but should not retroactively reduce a reward already earned under confirmed terms.
Promotions should state:
- eligible plan/customer;
- discount amount or percentage;
- start/end date;
- discount duration;
- renewal price after promotion;
- stacking rules;
- geographic restrictions; and
- whether taxes/usage/add-ons are excluded.
Do not use “lifetime” unless the commercial/legal meaning is precisely defined.
