2022-17017. Weber-Stephen Products LLC; Analysis of Proposed Consent Order To Aid Public Comment  

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    AGENCY:

    Federal Trade Commission.

    ACTION:

    Proposed consent agreement; request for comment.

    SUMMARY:

    The consent agreement in this matter settles alleged violations of federal law prohibiting unfair or deceptive acts or practices. The attached Analysis of Proposed Consent Order to Aid Public Comment describes both the allegations in the draft complaint and the terms of the consent order—embodied in the consent agreement—that would settle these allegations.

    DATES:

    Comments must be received on or before September 8, 2022.

    ADDRESSES:

    Interested parties may file comments online or on paper by following the instructions in the Request for Comment part of the SUPPLEMENTARY INFORMATION section below. Please write “Weber-Stephen Products LLC; File No. 212 3139” on your comment and file your comment online at https://www.regulations.gov by following the instructions on the web-based form. If you prefer to file your comment on paper, please mail your comment to the following address: Federal Trade Commission, Office of the Secretary, 600 Pennsylvania Avenue NW, Suite CC-5610 (Annex D), Washington, DC 20580.

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    FOR FURTHER INFORMATION CONTACT:

    Melissa Dickey (202-326-2662), Bureau of Consumer Protection, Federal Trade Commission, 600 Pennsylvania Avenue NW, Washington, DC 20580.

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    SUPPLEMENTARY INFORMATION:

    Pursuant to section 6(f) of the Federal Trade Commission Act, 15 U.S.C. 46(f), and FTC Rule 2.34, 16 CFR 2.34, notice is hereby given that the above-captioned consent agreement containing a consent order to cease and desist, having been filed with and accepted, subject to final approval, by the Commission, has been placed on the public record for a period of thirty (30) days. The following Analysis to Aid Public Comment describes the terms of the consent agreement and the allegations in the complaint. An electronic copy of the full text of the consent agreement package can be obtained at https://www.ftc.gov/​news-events/​commission-actions.

    You can file a comment online or on paper. For the Commission to consider your comment, we must receive it on or before September 8, 2022. Write “Weber-Stephen Products LLC; File No. 212 3139” on your comment. Your comment—including your name and your state—will be placed on the public record of this proceeding, including, to the extent practicable, on the https://www.regulations.gov website.

    Because of heightened security screening, postal mail addressed to the Commission will be subject to delay. We strongly encourage you to submit your comments online through the https://www.regulations.gov website.

    If you prefer to file your comment on paper, write “Weber-Stephen Products LLC; File No. 212 3139” on your comment and on the envelope, and mail your comment to the following address: Federal Trade Commission, Office of the Secretary, 600 Pennsylvania Avenue NW, Suite CC-5610 (Annex D), Washington, DC 20580.

    Because your comment will be placed on the publicly accessible website at https://www.regulations.gov, you are solely responsible for making sure your comment does not include any sensitive or confidential information. In particular, your comment should not include sensitive personal information, such as your or anyone else's Social Security number; date of birth; driver's license number or other state identification number, or foreign country equivalent; passport number; financial account number; or credit or debit card number. You are also solely responsible for making sure your comment does not include sensitive health information, such as medical records or other individually identifiable health information. In addition, your comment should not include any “trade secret or any commercial or financial information which . . . is privileged or confidential”—as provided by Section 6(f) of the FTC Act, 15 U.S.C. 46(f), and FTC Rule 4.10(a)(2), 16 CFR 4.10(a)(2)—including competitively sensitive information such as costs, sales statistics, inventories, formulas, patterns, devices, manufacturing processes, or customer names.

    Comments containing material for which confidential treatment is requested must be filed in paper form, must be clearly labeled “Confidential,” and must comply with FTC Rule 4.9(c). In particular, the written request for confidential treatment that accompanies the comment must include the factual and legal basis for the request, and must identify the specific portions of the comment to be withheld from the public record. See FTC Rule 4.9(c). Your comment will be kept confidential only if the General Counsel grants your request in accordance with the law and the public interest. Once your comment has been posted on the https://www.regulations.gov website—as legally required by FTC Rule 4.9(b)—we cannot redact or remove your comment from that website, unless you submit a confidentiality request that meets the requirements for such treatment under FTC Rule 4.9(c), and the General Counsel grants that request.

    Visit the FTC website at http://www.ftc.gov to read this document and the news release describing the proposed settlement. The FTC Act and other laws the Commission administers permit the collection of public comments to consider and use in this proceeding, as appropriate. The Commission will consider all timely and responsive public comments that it receives on or before September 8, 2022. For information on the Commission's privacy policy, including routine uses permitted by the Privacy Act, see https://www.ftc.gov/​site-information/​privacy-policy.

    Analysis of Proposed Consent Order To Aid Public Comment

    The Federal Trade Commission (the “Commission”) has accepted, subject to final approval, an agreement containing a consent order from Weber-Stephen Products LLC. (“Respondent” or “Weber”). The proposed consent order (“Proposed Order”) has been placed on the public record for 30 days for receipt of comments by interested persons. Comments received during this period will become part of the public record. After 30 days, the Commission will again review the agreement, along with any comments received, and will decide whether it should withdraw from the agreement and take appropriate action or make final the Proposed Order.

    This matter involves the warranty Weber offers to purchasers of its gas and electric grills. According to the Commission's complaint, the warranty is conditioned on purchasers using authorized Weber parts and accessories; otherwise, the warranty is void. Based on the foregoing, the Commission alleges that Respondent violated the Magnuson-Moss Warranty Act and regulations promulgated thereunder and engaged in deceptive acts or practices in violation of Section 5(a) of the FTC Act.

    The Proposed Order contains injunctive provisions addressing the alleged deceptive conduct. Section I prohibits Respondent from expressly or implicitly conditioning a warranty on a consumer's use of any article or service which is identified by brand, trade, or corporate name, unless the article or service is offered for free or the Commission has issued a waiver to the company, or from otherwise violating the Warranty Act or the Rules promulgated thereunder. Section II prohibits Respondent from representing to consumers, expressly or by implication, (a) that its warranties will be void if they use third-party parts or services or if they modify or alter the product without authorization, or (b) as a condition of warranty coverage, or within the written warranty, that consumers must use only genuine or authorized parts. Under Section II, Respondent may expressly exclude liability for defects or damage caused by unauthorized or third-party parts or service, or expressly exclude liability for unauthorized conversions of a gas grill to use a different fuel type ( e.g., liquid propane to natural gas, or vice versa). Section II also requires Respondent to include language in the warranty that both affirmatively notifies consumers of their rights to use third-party parts under the Magnuson-Moss Warranty Act and enjoins Respondent from misrepresenting any material facts to consumers about the warranty.

    Section III requires Respondent to inform its customers that its warranty has been updated, and that the updated warranty is not conditioned on the use of authorized parts. Respondent must clearly and conspicuously post and keep on its website, and on its smartphone/tablet app, the notice and its updated warranty terms, and it must submit reports regarding its notification program. Start Printed Page 48480

    Sections IV through VII of the Proposed Order are reporting and compliance provisions, which include recordkeeping requirements and provisions requiring Respondent to provide information or documents necessary for the Commission to monitor compliance with the Proposed Order. Section VIII states that the Proposed Order will remain in effect for 20 years, with certain exceptions.

    The purpose of this analysis is to aid public comment on the Proposed Order. It is not intended to constitute an official interpretation of the complaint or Proposed Order, or to modify in any way the Proposed Order's terms.

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    By direction of the Commission.

    Joel Christie,

    Acting Secretary.

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    [FR Doc. 2022-17017 Filed 8-8-22; 8:45 am]

    BILLING CODE 6750-01-P

Document Information

Published:
08/09/2022
Department:
Federal Trade Commission
Entry Type:
Notice
Action:
Proposed consent agreement; request for comment.
Document Number:
2022-17017
Dates:
Comments must be received on or before September 8, 2022.
Pages:
48478-48480 (3 pages)
Docket Numbers:
File No. 212 3139
PDF File:
2022-17017.pdf
Supporting Documents:
» Weber-Stephen Products LLC; Analysis of Proposed Consent Order To Aid Public Comment