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Published byNorah Gilbert Modified over 9 years ago
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Social Media Audit: Labor, Advertising and Corporate Law
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2 Panel Michelle Tori Sherman Silas
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4 Employer Access to Employee Social Media: Some Bright Lines Pre-screening job applicants Monitoring social media activity “Friending” employees
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5 Pre-screening job applicants: Dos and Don’ts Do consider social media activity Do follow FCRA rules if using an outside vendor Do have an internal procedure for the pre-screen
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6 Pre-screening job applicants: Dos and Don’ts Don’t ask for login/password Don’t have decision makers doing the pre-screen Don’t make employment decisions based on protected factors
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7 Monitoring social media activity: Keep to the public pages Don’t view “private” activity on employee’s open page at work Be consistent in how you respond to social media activity Be mindful of protected factors
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8 “Friending” Employees: Risk of Title VII and related state law claims Risk of harassment claims Address in state mandated sexual harassment trainings
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9 Social Media Policies: Dos and Don’ts Do have a social media policy Do include in onboard training Do build flexibility into it Do update it
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10 Social Media Policies: Don’ts Don’t try and prohibit “water cooler” conversations Don’t try and prohibit Sec. 7, NLRA related posts Don’t use vague and overbroad terms without specific examples
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11 Other Social Media Policies and Agreements: Vendor agreements Social media handler agreements Franchisee and other independent contractor agreements
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12 Marketing and Social Media Rules are the Same in Social Media as Traditional Media FTC Act - FTC.com Disclosures State Consumer Laws State Data Privacy & Security Laws
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13 Legal Pitfalls when Advertising on Social Media Trademark & Copyright Issues User Generated Content Right of Publicity
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14 Legal Pitfalls when Advertising on Social Media Sweepstakes, Contests & Other Promotions Endorsements & Testimonials in Social Media
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15 Managing compliance with social media platform terms Periodic audit for updates Messaging to Marketing Departments “Publisher” Liability
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16 The Social CEO Stories from the headlines Reg FD/FTC issues Avoid “Sock-Puppeting” Proactive fixes: Briefings by investor relations; social media lead; legal Monitor social media activity
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17 Litigation and E-Discovery Issues: ESI – treated the same Discoverable Include in litigation hold Include in discovery plan Don’t assume outside counsel is fluent in social media
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18 Litigation and E-Discovery Issues: Follow ethics rules – no ex parte communications Avoid overbroad requests Anticipate filing discovery motion Send preservation letter Do informal discovery of public information
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19 Due Diligence for M&A Deals How is the target company managing its social media Know litigation exposure: astroturfing, copyright infringement, right of publicity Ownership of social media accounts
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20 Takeaways Implement Safeguards & Policies Balance business interest/objectives with risks
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21 Takeaways Conduct Audits Respect Privacy Be aware of regulatory scrutiny
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22 Contact Information Michelle Sherman Michelle.Sherman@farmersinsurance.com Sr. Corporate Counsel - Litigation Corporate Legal Department Farmers Group, Inc. 6301 Owensmouth Ave., 3rd Floor Woodland Hills, CA 91367 (818) 965-0278 Tori M. Silas tori.silas@coxinc.com Privacy Officer & Senior Counsel, New Media and Transactions Cox Enterprises, Inc. 6205 Peachtree Dunwoody Rd. Atlanta, GA 30328 (678) 645-0959
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