Built for Compliance,
Designed for Trust

Adoptiv operates at the intersection of telephony, CRM, and AI — three of the most regulated spaces in technology. This page is your complete reference for every compliance framework, legal standard, and security control that governs how we build and operate our platform.

TCPA One-to-One Consent (2025)GDPR Art. 6 & Art. 22FCC Robocall RulesAES-256 EncryptionCCPA / CPRA

What you'll achieve

A clear map of telephony, privacy, and AI controls—how Adoptiv implements them and where to go deeper on this page.

01

TCPA — 2025 rules built in

  • One-to-one consent and PEWC fields per contact and campaign.
  • Revocation, STOP handling, and DNC sync aligned to FCC timelines.
02

FCC robocall & SMS posture

  • AI-voice and ATDS flows gated on consent and disclosure.
  • 10DLC, Truth in Caller ID, and rule updates tracked by our compliance team.
03

GDPR-ready processing

  • Controller vs processor clarity, DPF, SCCs, and residency options.
  • Transparency, erasure, portability, and Art. 22 governance documented.
04

AES-256 everywhere it matters

  • Data at rest and in transit: TLS 1.3, SRTP, KMS-backed keys.
  • Recordings, CRM, imports, and backups covered in our encryption matrix.
05

CCPA / CPRA & US state laws

  • Consumer rights, timelines, and verification for access and deletion.
  • Colorado, Connecticut, Virginia, Texas, Nevada, and GPC honored on adoptiv.com.
06

STIR/SHAKEN caller identity

  • Signed outbound; numbers you don’t own can’t be spoofed as CLI.
  • Attestation and carrier policy aligned to 47 CFR § 64.6301.
07

AI governance you can defend

  • Voice agents and AI features mapped to TCPA, FCC, and GDPR Art. 22.
  • No training on your contacts, calls, or CRM data — by policy.
08

SOC 2 & security assurance

  • Controls and audits you can share with procurement and customers.
  • SIRP, pen tests, and breach timelines aligned to NIST and privacy law.
⚖️
Section 01
Compliance Overview

Adoptiv (adoptiv.com) is a Communications Platform as a Service (CPaaS) delivering Telephony, CRM, and AI Assistance to high-velocity sales teams. As a platform that processes millions of calls, SMS messages, and customer records, Adoptiv operates under some of the most rigorous telecommunications and data protection regulations in existence.

We treat compliance not as a legal checkbox but as a product feature. Every framework listed on this page is actively maintained, audited, and embedded directly into our engineering, operational, and AI governance practices. Below are the three primary pillars of the Adoptiv compliance stack:

📞
Telephony Compliance
TCPA 2025, FCC Robocall Rules, CPNI, DNC, STIR/SHAKEN, CNAM, NANPA, 10DLC, BYOV carrier rules.
🗄️
Data & Privacy
GDPR (EU/UK/Swiss), CCPA/CPRA, US State Laws (CO, CT, VA, TX, NV).
🤖
AI Governance
FCC AI-generated call rules (Feb 2024), GDPR Art. 22 automated decision-making, no AI model training on customer data.
📌 Platform Compliance Commitment
Adoptiv provides the compliance infrastructure and controls. Our customers are responsible for ensuring their own use of the Adoptiv platform — including outbound calling campaigns, consent collection, and list management — complies with applicable laws in their jurisdiction. We offer built-in compliance tools to help.
📜
Section 02
TCPA — Telephone Consumer Protection Act

The Telephone Consumer Protection Act (TCPA), 47 U.S.C. § 227, governs the use of automated telephone dialing systems (ATDS), prerecorded messages, and artificial voice calls. It is administered and enforced by the Federal Communications Commission (FCC) and the Federal Trade Commission (FTC).

⚠️ 2025 Rule Change: One-to-One Consent (Effective January 27, 2025)
The FCC enacted a landmark rule change requiring that TCPA prior express written consent (PEWC) be obtained from only one identified seller per consent interaction. Blanket consent across multiple sellers or lead generators is no longer valid. Adoptiv's platform enforces per-contact consent fields and campaign-level consent documentation.
⚠️ 2025 Rule Change: Consent Revocation (Effective April 11, 2025)
Consumers may now revoke consent in any reasonable manner using words like "Stop," "Quit," "Cancel," "Opt-Out," "Unsubscribe," or "End." Callers must honor revocations within 10 business days. One confirmation text is permitted within 10 minutes of the request. Adoptiv's DNC sync processes revocations within 24 hours.

TCPA Key Requirements

RequirementRuleAdoptiv Control
Prior Express Written Consent (PEWC)Required for ATDS/prerecorded calls to wireless numbersConsent field per contact record; campaign-level consent tracking
One-to-One ConsentEach seller must obtain individual consent (Jan 27, 2025)Single-seller consent enforcement; no list sharing across customers
Revocation HandlingHonor within 10 business days (Apr 11, 2025)Automated DNC sync within 24 hours; STOP keyword processing
DNC Registry ScrubbingCheck before each campaignReal-time DNC scrubbing pre-dial; 30-day refresh cycle
Call Abandonment≤ 3% abandoned calls; wait ≥ 15 sec / 4 ringsPredictive dialer configurable to FCC thresholds
Calling HoursOnly between 8am–9pm recipient's local timeTime-zone enforcement engine; UTC offset mapping per number
Prerecorded MessagesMust include opt-out option at startAuto-prepend opt-out disclosure to all prerecorded campaigns
SMS ConsentWritten consent required for ATDS-sent textsSMS opt-in management with keyword STOP/HELP processing
Caller IDMust display accurate calling numberSTIR/SHAKEN signed; no spoofed CLI permitted

TCPA Violation Penalties

Statutory Damages (per violation)$500
Willful / Knowing Violations (per violation)$1,500
Class Action ExposureUncapped (millions possible)
FCC Forfeiture Penalty (carrier violations)Up to $1,000,000 per action
ℹ️ Adoptiv Platform Controls
Adoptiv embeds TCPA controls directly into the dialing workflow: time-zone enforcement, DNC real-time scrubbing, per-contact consent status, campaign-level compliance logs, and automated opt-out processing. Customers remain responsible for obtaining valid PEWC before uploading contact lists.
🚫
Section 03
Robocall Compliance

A robocall is any call made using an automated telephone dialing system (ATDS) or that delivers a prerecorded or artificial voice message. Under FCC rules, AI-generated voice calls are legally classified as robocalls, regardless of how human-like the voice sounds.

🚨 FCC Declaratory Ruling: AI Voice = Robocall (February 8, 2024)
The FCC issued a declaratory ruling confirming that any call using artificial intelligence to generate a human voice is considered a "robocall" under TCPA 47 C.F.R. § 64.1200. AI-generated calls to mobile phones or residential lines require prior express written consent. Adoptiv enforces consent verification before any AI Voice Agent call is initiated.
✅ Permitted Robocall Types
  • Emergency calls — danger to life, safety, or property
  • Transactional / informational calls — with prior express consent
  • Healthcare reminders — appointment reminders with consent
  • Debt collection — to debtor's own number with consent
  • Non-profit / political — landline only, some exemptions apply
  • Survey / research — landline only, no commercial purpose
❌ Prohibited Without PEWC
  • Telemarketing robocalls to wireless numbers
  • AI-generated voice calls (FCC 2024 ruling)
  • Prerecorded sales messages without opt-out mechanism
  • Spam robocalls from spoofed caller IDs
  • Calls to DNC-registered numbers without prior EBR or consent
  • Unsolicited robotexts using ATDS to wireless

Adoptiv Robocall Safeguards

1
Consent Verification Engine
Every dialer campaign checks per-contact consent status before dialing. Unconsented contacts are automatically flagged and excluded from ATDS campaigns.
2
AI Call Disclosure
All AI Voice Agent calls include an automated disclosure at the start: "This call is being handled by an AI system on behalf of [Company Name]." Complies with pending FCC AI disclosure rules.
3
Opt-Out Automation
Real-time STOP/QUIT/CANCEL keyword processing across voice and SMS. Opt-outs propagate to all active campaigns within 15 minutes and sync to CRM contact record.
4
Abandonment Rate Monitoring
Predictive dialer is configurable to maintain ≤3% abandonment rate per FCC rules. Real-time monitoring with automated throttling when threshold is approached.
5
Audit Trail
Every call — including consent status, call type (human/AI/prerecorded), duration, result, and opt-out events — is logged with tamper-proof timestamps for compliance review.
📡
Section 04
FCC Regulations

The Federal Communications Commission (FCC) is the primary US regulatory body for telecommunications. Adoptiv's telephony stack — including PSTN connectivity, SMS/MMS, VoIP, and AI voice features — is designed and operated in compliance with FCC rules under the Communications Act of 1934 (as amended) and the TCPA.

FCC Rule / OrderEffective DateImpact on AdoptivStatus
One-to-One Consent Rule (CG Docket 21-402)Jan 27, 2025Per-contact, per-seller PEWC enforcement in all ATDS campaigns✓ Compliant
Consent Revocation Rule (47 CFR § 64.1200)Apr 11, 202524-hour DNC sync; any-manner opt-out processing; one confirmation text rule✓ Compliant
AI-Generated Voice Declaratory RulingFeb 8, 2024AI Voice Agent calls classified as robocalls; PEWC required; AI disclosure at call start✓ Compliant
STIR/SHAKEN Caller ID Authentication (47 CFR § 64.6301)OngoingFull STIR/SHAKEN signing on all outbound calls; no spoofed CLI permitted✓ Compliant
A2P 10DLC SMS Registration (TCR)OngoingAll application-to-person SMS campaigns require brand and campaign registration with TCR✓ Compliant
Truth in Caller ID Act (47 U.S.C. § 227(e))OngoingCaller ID must accurately identify the calling party; no spoofing✓ Compliant
FNPRM: AI Consent & Caller ID Enhancement (Oct 2025)Pending finalizationProposed AI-specific consent and in-call disclosure rules; Adoptiv AI already exceeds proposed standardsMonitoring
📋 FCC Enforcement Action History
Violations of FCC telecommunications rules can result in forfeiture penalties up to $1,000,000 per enforcement action (as demonstrated in the 2024 Lingo Telecom STIR/SHAKEN consent decree). Adoptiv's compliance team monitors FCC enforcement actions and updates platform controls within 30 days of any material rule change.
🔒
Section 05
AES-256 Encryption

Adoptiv uses AES-256 (Advanced Encryption Standard with 256-bit keys) — the same encryption standard used by the US government for top-secret classified data — to protect all customer data at rest and in transit. AES-256 has 2²⁵⁶ possible key combinations, making brute-force attacks computationally infeasible with current and foreseeable technology.

Browser/App
TLS 1.3
API Gateway
HTTPS / mTLS
Application
SRTP (Voice)
Database
AES-256 at rest
Backups
AES-256 encrypted
LayerProtocol / StandardCoverage
Data at RestAES-256-GCMAll databases, object storage, backups, recordings, CRM data
Data in Transit (Web)TLS 1.3 (min TLS 1.2)All browser-to-server, API, and webhook communications
Voice / VoIPSRTP (Secure RTP) + DTLSAll VoIP call media streams (end-to-end encrypted where possible)
API CommunicationsHTTPS with certificate pinningAll REST API and webhook traffic
Database ConnectionsTLS 1.3 in-transit encryptionApplication-to-database connections
File Uploads / DocumentsAES-256 server-side encryptionAll uploaded files, CSV imports, attachments
Call RecordingsAES-256 at rest + TLS in transitRecording storage and playback streams
Passwordsbcrypt (cost factor ≥ 12) + saltNever stored in plaintext; one-way hashed
Encryption KeysAWS KMS / HSM-managedCustomer-managed key (CMK) option available on Enterprise plan
🔑 Key Management
Encryption keys are managed via FIPS 140-2 validated Hardware Security Modules (HSMs). Key rotation is performed every 90 days. Enterprise customers can supply their own Customer Managed Keys (CMK).
🔍 Penetration Testing
Third-party penetration testing is conducted annually and after major infrastructure changes. Results are reviewed by the Security team and remediated within defined SLAs based on CVSS severity score.
🇪🇺
Section 06
GDPR — General Data Protection Regulation

The General Data Protection Regulation (GDPR) — EU Regulation 2016/679 governs the processing of personal data of individuals in the European Union, EEA, UK, and Switzerland. Adoptiv acts as both a Data Controller (for account holder data) and a Data Processor (for customer CRM and telephony data).

📋 As Data Controller
For personal data of Adoptiv's direct account holders (name, email, billing). Adoptiv determines the purpose and means of processing. Full GDPR obligations apply.
🔧 As Data Processor
For CRM contacts, call records, and telephony data uploaded by customers. Adoptiv processes only on documented customer instruction. Data Processing Agreement (DPA) available.

GDPR Compliance Matrix

GDPR ArticleRequirementAdoptiv Implementation
Art. 5Data Processing PrinciplesLawfulness, fairness, transparency, purpose limitation, data minimisation, accuracy, storage limits, integrity, accountability — all enforced by policy and system controls
Art. 6Lawful Basis for ProcessingDocumented lawful basis per data type: contract, consent, legitimate interest, legal obligation. Basis recorded in processing register.
Art. 13 / 14Transparency ObligationsFull privacy notice on adoptiv.com/privacy. Data collection disclosed at point of collection.
Art. 17Right to ErasureAutomated RTBF workflow via privacy portal or email to [email protected] within 30 days.
Art. 20Data PortabilityData export in JSON/CSV available from account settings. Contact records, call logs, CRM data all included.
Art. 22Automated Decision-MakingAI features that affect significant decisions require human review. AI governance policy published. Users notified when AI is making recommendations vs. decisions.
Art. 25Privacy by Design & DefaultData minimisation by design. Strict access controls by default. Privacy impact assessments (DPIA) for new features processing sensitive data.
Art. 28Data Processing AgreementDPA available at adoptiv.com/dpa. Executed automatically with Enterprise accounts; available on request for all plans.
Art. 32Security of ProcessingAES-256, TLS 1.3, SRTP, role-based access, audit logs, ISO 27001. See Section 05.
Art. 33Breach Notification to AuthorityNotification to supervisory authority within 72 hours of discovery of qualifying breach.
Art. 34Breach Notification to IndividualsAffected individuals notified without undue delay when breach poses high risk to rights and freedoms.
Art. 37Data Protection Officer (DPO)DPO appointed. Contact: [email protected]
Art. 44–49International Data TransfersEU-US Data Privacy Framework (DPF), UK Extension, Swiss-US DPF. SCCs and UK IDTA as fallbacks. Data residency controls available.

Your GDPR Rights

👁️
Right to Access
Request a copy of your personal data
✏️
Rectification
Correct inaccurate or incomplete data
🗑️
Erasure
Right to be forgotten
🔒
Restriction
Limit processing of your data
📤
Portability
Export data in machine-readable format
Object
Object to processing based on legitimate interest
🤖
No Auto-Decision
Human review of significant AI decisions
Withdraw Consent
Revoke consent at any time
🌍 Transfer Mechanisms
Adoptiv is certified under the EU-US Data Privacy Framework (EU-US DPF), UK Extension to the EU-US DPF, and Swiss-US DPF. For transfers not covered by DPF, Standard Contractual Clauses (SCCs — Commission Implementing Decision 2021/914) and the UK International Data Transfer Agreement (IDTA) are available. Our DPA includes the full module selection for controller-to-processor transfers.
🇺🇸
Section 07
CCPA / CPRA — California Privacy Rights

The California Consumer Privacy Act (CCPA) as amended by the California Privacy Rights Act (CPRA) grants California consumers extensive rights over their personal information. Adoptiv fully complies with CCPA/CPRA and provides the required consumer rights infrastructure.

📋 CCPA/CPRA Rights We Honor
  • Right to Know — categories, sources, purposes, and specific data
  • Right to Delete — request deletion within 45 days
  • Right to Correct — update inaccurate personal information
  • Right to Opt-Out — of sale/sharing of personal information
  • Right to Limit Use — of sensitive personal information
  • Right to Non-Discrimination — no service degradation for exercising rights
  • Right to Appeal — appeal a denial of a privacy request
🔍 US State Privacy Laws Covered
  • California — CCPA/CPRA (enforced by California Privacy Protection Agency)
  • Colorado — Colorado Privacy Act (CPA) — effective July 1, 2023
  • Connecticut — CTDPA — effective July 1, 2023
  • Virginia — VCDPA — effective January 1, 2023
  • Texas — TDPSA — effective July 1, 2024
  • Nevada — Nevada Privacy Act SB 220
  • GPC Signal — Global Privacy Control honored on adoptiv.com
ℹ️ Response Timeline
We respond to CCPA/CPRA verifiable consumer requests within 45 calendar days. Complex requests may be extended by an additional 45 days with notice. We verify identity before processing deletion or access requests. Submit requests to: [email protected] or via our Privacy Center at adoptiv.com/privacy-center.
🤖
Section 08
AI Compliance & Governance

Adoptiv's AI features — Voice Agents, Sales Agents, Predictive Analytics, Transcription, Sentiment Analysis, Email Parsing, and Lead Recovery — operate under a strict AI governance framework informed by GDPR Article 22, FCC AI rulings, and industry best practices from Twilio, Pipedrive, and HubSpot.

AI Feature Compliance Map

AI FeatureData UsedRegulatory FrameworkHuman Review Required
AI Voice AgentsContact record, call script, CRM dataTCPA PEWC + FCC AI-voice ruling (Feb 2024) + GDPR Art. 22Escalation path mandatory
Call TranscriptionCall audio, metadataState call recording laws; GDPR Art. 6; CCPA; consent loggedAdmin review available
Sentiment AnalysisTranscribed textGDPR Art. 22 (not sole decision basis); CCPA sensitive data rulesInsight only; no autonomous action
Predictive DialerContact history, call outcomesTCPA abandonment rules; FCC 3% threshold; DNC status checkThreshold alerts; human admin override
AI Sales AgentsDeal data, contact historyGDPR Art. 22; CCPA; no automated binding decisionsHuman approval for deals > threshold
Email Parsing / AIEmail content with consentGDPR Art. 6(1)(b); CAN-SPAM; CASLAdmin review for flagged items
Lead Recovery AIDeal history, payment recordsGDPR legitimate interest; CCPA; TCPA for recontactContact list requires human approval

Four AI Governance Principles

🔍
1. Transparency
All AI interactions are clearly labeled. AI Voice Agent calls include mandatory disclosure. AI-generated CRM suggestions are visually marked. Super Admin audit logs capture all AI activity.
🚫
2. No Training on Your Data
Customer data — contacts, call recordings, CRM records — is never used to train Adoptiv's AI models or shared with third-party AI providers for training purposes. No exceptions.
🧑
3. Human Control
Every significant AI-driven action requires human approval or provides a clear override mechanism. GDPR Art. 22 compliance ensures no fully-automated binding decisions.
🛡️
4. Privacy-by-Design
AI features are built with data minimisation at their core. AI models see only the minimum data required for the specific function, with no cross-customer data blending.
📱
Section 09
CPNI — Customer Proprietary Network Information

Customer Proprietary Network Information (CPNI) is information that telecommunications providers acquire about their customers by virtue of providing the service. Under 47 U.S.C. § 222, Adoptiv is required to protect and restrict the use of CPNI.

What Constitutes CPNI
  • Number of calls made/received
  • Call duration and frequency
  • Call destinations (numbers dialed)
  • Location of calling/called device
  • Type and configuration of telephony service
  • Service subscription details
What Is NOT CPNI
  • Customer's name and billing address
  • Telephone number of subscriber
  • Payment information
  • Content of calls or voicemails
  • Account username and password
⚖️ CPNI Usage & Your Rights
Adoptiv uses CPNI only to provide and improve the services you have subscribed to. We do not share CPNI with third parties for marketing without your explicit consent. You may opt out of CPNI use for marketing at any time by emailing [email protected] with the subject "CPNI Opt-Out." Opt-out requests are processed within 24 hours. If Adoptiv experiences a CPNI breach, law enforcement is notified within the required timeframe, and customers are notified at least 7 days thereafter (or as law enforcement permits).
🚷
Section 11
Do-Not-Call (DNC) Registry

The National Do-Not-Call Registry (administered by the FTC under 16 CFR Part 310 — Telemarketing Sales Rule) prohibits telemarketing calls to registered numbers. Adoptiv provides automated DNC scrubbing integrated directly into the dialing workflow.

🔄 DNC Controls in Adoptiv
  • National DNC Registry scrubbing pre-campaign
  • Company-specific internal DNC list management
  • State DNC list scrubbing (where applicable)
  • Real-time opt-out addition to DNC list
  • 30-day DNC list refresh cycle
  • Campaign-level DNC override audit trail
⚠️ DNC Violation Penalties (FTC)
Per Violation (FTC)Up to $51,744
Per Violation (FCC / TCPA)Up to $1,500
📶
Section 12
STIR/SHAKEN — Caller ID Authentication

STIR (Secure Telephony Identity Revisited) / SHAKEN (Signature-based Handling of Asserted Information using toKENs) is the FCC-mandated caller ID authentication framework implemented under 47 CFR § 64.6301. It cryptographically signs outbound calls to verify that the caller ID is accurate and the calling party is authorized to use that number.

🔐 Attestation Level A
Full attestation: Adoptiv has verified the calling party's identity and their right to use the phone number. Applied to all direct inward dial (DID) numbers assigned to Adoptiv customers.
📋 FCC Requirement
All voice service providers must implement STIR/SHAKEN for calls over IP networks. Failure to comply can result in calls being flagged as "Spam Likely" or blocked by terminating carriers.
🚫 No Spoofing
Adoptiv's platform technically prevents caller ID spoofing on customer accounts. Customers cannot configure outbound caller IDs to numbers they do not own or control.
🌍
Section 13
Data Residency & International Transfers

Adoptiv offers data residency controls to help customers meet jurisdiction-specific data localization requirements, including GDPR requirements for EU data to remain within the EEA.

RegionData CenterTransfer MechanismAvailability
United StatesUS-East, US-WestPrimary region — no transfer mechanism requiredAll Plans
European UnionEU-West (Frankfurt/Dublin)GDPR-compliant; data stays within EEAPro + Enterprise
United KingdomEU-West + UK-SouthUK GDPR + IDTA for EEA transfersEnterprise
CanadaCA-CentralPIPEDA compliance; within CanadaEnterprise
AustraliaAP-SoutheastAustralian Privacy Principles (APP)Enterprise
🚨
Section 14
Security Incident Response

Adoptiv maintains a formal Security Incident Response Plan (SIRP) aligned to NIST SP 800-61 and our GDPR, and CCPA notification obligations.

1
Detection & Triage (0–2 hours)
24/7 automated alerting via SIEM. Security team triages severity using CVSS scoring. P1 incidents escalate to CISO immediately.
2
Containment (2–8 hours)
Affected systems isolated. Access credentials rotated. Forensic investigation begins. Incident documented in secure ticketing system.
3
Customer Notification (within 72 hours)
Affected customers notified via email with incident description, data categories involved, and mitigation steps. GDPR supervisory authority notified within 72 hours for qualifying EU breaches.
4
Remediation & Recovery
Root cause analysis completed. Patches deployed. System restored from clean backups where necessary. Post-incident review within 14 days.
5
Post-Incident Report
Full incident report provided to affected Enterprise customers within 30 days including timeline, root cause, data impact assessment, and remediation steps taken.
📬
Section 15
Compliance Contacts

Our compliance team is available to assist with privacy requests, compliance questions, and legal inquiries. All compliance communications are handled by dedicated personnel — not automated systems.

Data Protection Officer
GDPR, CCPA, privacy rights requests
General Privacy
Privacy policy questions, data requests
Compliance Team
TCPA, FCC, regulatory inquiries
Security Team
Vulnerability disclosure, SIRP
Legal / Law Enforcement
Subpoenas, court orders, legal process
CPNI Opt-Out
Restrict CPNI use for marketing
DPA Requests
Data Processing Agreements (GDPR)
📍 Registered Addresses
US Entity: Adoptiv Inc., [Address], Delaware, USA  | EU Representative: Adoptiv EU Ltd., [EU Address], Ireland  | UK Representative: [UK Representative Name], [UK Address]