
Finding fraud in bankruptcy cases
Read Time: 12 mins
Written By:
Roger W. Stone, CFE
The days of the funny prank phone calls are over. Yes, our refrigerators are running. No, we do not need to catch them. Lately, we are more concerned about robocalls impersonating President Biden, or other government officials, sowing bad advice and/or attempting to scam any earnest listeners.
In February, the Federal Trade Commission (FTC) stated that it is “committed to using all of its tools to detect, deter and halt impersonation fraud” and opened up for commentary on a Supplemental Notice of Proposed Rulemaking (SNPR). The proposed supplements would allow the FTC to more effectively and efficiently right consumers harmed by impersonation schemes and more effectively address the types of unlawful impersonation affecting consumers. Such changes would impact the finalized proposal to change the rules regarding government and business impersonation (entitled the Rule on Impersonation of Government and Businesses or Impersonation Rule). The SNPR proposal seeks to “add a prohibition on the impersonation of individuals and extend liability for violations of the Rule to parties who provide goods and services with knowledge or reason to know that those goods or services will be used in impersonations of the kind that are themselves unlawful under the Rule.”
This comes at a time when the FTC reports fraud losses topping $10 billion in 2023, more than a 14% increase from 2022, and receiving more than 2.6 million fraud reports from consumers. The FTC’s Consumer Sentinel Network, which receives reports directly from consumers, all levels of law enforcement agencies, the Better Business Bureau, industry members and non-profit organizations received 5.4 million reports in 2023. (A full breakdown of reports received in 2023 is available on the FTC’s data analysis site.)
The overwhelming number of complaints begs the attention of the FTC, which promotes a mission to protect the public from deceptive or unfair business practices and from unfair methods of competition through law enforcement, advocacy, research and education. The swiftly developing nature of artificial intelligence (AI) is a concern for consumers and businesses alike, as it is easily manipulated for fraudulent purposes. From deepfakes, voice-cloning, chatbots and mimicked writing styles, AI-supported scams are growing at an exponential rate.
The finalized amendments to the Impersonation Rule state:
For example, the above enables the FTC to directly seek monetary relief in federal court from scammers that:
However, several comments on the Impersonation Rule addressed the pervasive threat of individual impersonation, which led to the SNPR. The proposed amendment would prohibit not just impersonation of government entities and businesses, but also the impersonation of individuals. Additionally, it establishes third-party liability for companies and developers that know or have reason to know their technology is being used to defraud consumers through impersonation and misuse of their resources. By expanding the Impersonation Rule to include the impersonation of impersonation other than government entities and businesses, the FTC is able to pursue perpetrators of other impersonation schemes, such as romance frauds or grandparent schemes.
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Read Time: 12 mins
Written By:
Roger W. Stone, CFE
Read Time: 10 mins
Written By:
Tom Caulfield, CFE, CIG, CIGI
Sheryl Steckler, CIG, CICI
Read Time: 2 mins
Written By:
Emily Primeaux, CFE
Read Time: 12 mins
Written By:
Roger W. Stone, CFE
Read Time: 10 mins
Written By:
Tom Caulfield, CFE, CIG, CIGI
Sheryl Steckler, CIG, CICI
Read Time: 2 mins
Written By:
Emily Primeaux, CFE