Before you launch your US short code campaign, Sinch and US Carriers must review your brand and campaign. We make sure your message program aligns with carrier and industry requirements. Principally we look for alignment with the CTIA Messaging Principles and Best Practices and CTIA Short Code Monitoring Program Handbook documents.
For Sinch to approve your short code campaign, you will need to:
US Short Code Campaign Requirements
Below are some specific requirements you must apply to US short code campaigns you are bringing onboard with Sinch.
Call to Action:
All US short code programs are required to have a call to action. This is how the program is advertised to end user and how consent is granted to receive messages. A call to action may be presented verbally (ie. Point of sale), via print ad (ie. “Text JOIN to XXXXX”) or via web (ie. Mobile number entry). Method of opt-in should be clear and concise. The call to action must include the following criteria for recurring programs:
*Not required for one-time transactional campaigns
**Recommended. If full terms (including HELP instruction) is provided within the Call to Action, then Terms and Conditions for messaging is optional
Opt in:
Opt in confirmation MT:
Example Content Messages:
If transactional notices are sent, examples need to be provided for each type Billing, Notifications etc.
HELP MT:
Although single-message programs are not required to display HELP keyword, they should support HELP command.
STOP MT:
Although single-message programs are not required to display STOP keyword, they should support STOP command.
Terms & Conditions:
*Not required for one-time transactional programs
Terms & Conditions page must be live in production
Privacy Policy:
Privacy Policy page must be live in production
*No-sharing clause has to be present in Privacy Policy page or in within the Call To Action (as long as nothing contradicts it in Privacy Policy)
Additional documents needed:
Effective October 15, 2024, CTIA and the US Short Code Registry introduced a new requirement for leasing new short codes or when manually renewing short code leases, necessitating all brands to undergo vetting. Aegis Mobile has partnered with CTIA to authenticate the identities of brands utilizing US short codes. This vetting process provides additional transparency for brands involved with each short code campaign, benefiting all stakeholders. It also offers greater protection for consumers and upholds the short code's reputation as a trusted messaging channel.
Brands will only need to be vetted once and short code leasing will be available only after a successful vetting result. In the event of a lease transfer, the brand will need to submit a new vetting request with the new lease holder. There is no additional charge to this new feature and it will not impact short code throughput.
The following Brand Client information will be required:
How about existing short codes?
Brand client details for existing short codes that is on auto-renewal will be required to undergo the new vetting process by Q1 2025. Brands will have sixty (60) days after the auto-renewal date of the short code to complete the required fields. Short codes that are not updated within that timeframe will be subject to non-compliance audit and may be suspended or terminated.
Sinch has started collecting this information. Please contact your account manager if you have any questions.
Vetting Process Overview
Upon submission of the Brand Client information, the vetting party will review the following triage criteria:
Once triaged criteria are met, the Brand’s Point of Contact (POC) will receive an email from CTIA’s vetting partner, Aegis Mobile (certify@aegismobile.com). This email will contain a PIN and instructions on how to complete the registration. Be sure to check your junk mail folder.
The PIN is valid for 7 days. A reminder email will be sent 48 hours before the PIN expires. If the initial PIN expires, Aegis Mobile will issue a second and final PIN.
While the Brand POC completes the PIN verification, the vetting party will continue to review the remaining brand client details at the same time.
Vetting Statuses:
Tips to a Successful Vetting Results
For entities with international presence, please specify the Tax ID and the country of registration. For entities in Canada, please provide the first 9 numeric digits of the Business Number (BN-9) when providing brand client details.
US Tax ID, company name and address can be validated using the following resources:
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Canadian Tax ID, company name and address can be validated using the following resources:
Europe, Eastern Europe, North Atlantic, Middle East, South America, and APAC Tax ID, company name and address can be validated using the following resources:
For more information, please check out CTIA and The Short Code Registry's FAQs page or their summary below: