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Additional Information

Additional Information for Publishers Clearing House LLC

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This is a multi-location business.

Find a Location

Publishers Clearing House LLC has 3 locations, listed below.

*This company may be headquartered in or have additional locations in another country. Please click on the country abbreviation in the search box below to change to a different country location.

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    • Publishers Clearing House LLC

      300 Jericho Quadrangle Dept 300 Jericho, NY 11753-2712

      BBB Accredited Business
    • Publishers Clearing House LLC

      P.O. Box 6344 Harlan, IA 51593-1844

    • Publishers Clearing House LLC

      P.O. Box 26301 Lehigh Valley, PA 18002-6301

    Location of This Business
    300 Jericho Quadrangle Dept 300, Jericho, NY 11753-2712
    BBB File Opened:
    12/1/1962
    Years in Business:
    71
    Business Started:
    2/14/1953
    Business Incorporated:
    10/22/2002
    Accredited Since:
    4/2/2015
    Type of Entity:
    Limited Liability Company (LLC)
    Additional Contact Information

    Fax Numbers

    • (516) 883-5769
      Primary Fax

    Phone Numbers

    Additional Business Information
    Additional Info
    Consumers that have concerns about communications (mail/emails/texts/phone calls) that claim affiliation with Publishers Clearing House (PCH) should review the company's Consumer Fraud Protection page for guidance and tips. The link to that page can be found here: https://info.pch.com/fraud-protection
    Serving Area
    • NY

    Government Action: BBB reports on known government actions involving business’ marketplace conduct:

    FTC Takes Action Against Publishers Clearing House for Misleading Consumers About Sweepstakes Entries

    The following describes a government action that has been resolved by either a settlement or a decision by a court or administrative agency. If the matter is being appealed, it will be noted below.

    On 6/26/2023, Publishers Clearing House (PCH) has agreed to a proposed court order for an FTC lawsuit that will require it to pay $18.5 million to consumers who spent money and wasted their time, and make substantial changes to how it conducts business online. In a complaint against PCH, the FTC charges that the company uses “dark patterns” to mislead consumers about how to enter the company’s well-known sweepstakes drawings and made them believe that a purchase is necessary to win or would increase their chances of winning, and that their sweepstakes entries are incomplete even when they are not. The FTC also charges that the company has added surprise shipping and handling fees to the costs of products, misrepresented that ordering is “risk free,” used deceptive emails as part of its marketing campaign, and misrepresented its policies on selling users’ personal data to third parties prior to January 2019.  Many consumers affected by these practices are older and lower-income.

    The FTC charges that PCH used dark patterns—manipulative phrasing and website design—to  convince consumers that they needed to buy a product of some kind to enter the company’s sweepstakes or increase their chances of winning. Instead, the complaint charges, consumers enter an arduous journey through pages of advertisements and sales pitches before they can actually enter the sweepstakes. The advertisements allegedly use tricky wording that conflates ordering and entering to lead consumers to believe they must make a purchase to enter, or that purchasing will increase their chances of winning a sweepstakes, neither of which is true. Once consumers have navigated through the pages to reach the actual entry form and complete their entry, though, the complaint charges that PCH begins sending emails making them believe that they must complete a “final” or “last” step to complete their entry.

    The FTC’s complaint charges that where PCH included disclaimers or clarifying information on shopping pages, it was in small, light font, below the “call to action” buttons, and overlooked by consumers. Beyond the company’s deceptive cycle of emails and webpages, though, the FTC’s complaint charges that PCH employed other unlawful practices, including:

    -Failing to disclose the true price of goods: The complaint charges that PCH hid from consumers who made purchases on their websites shipping and handling costs – which averaged over 40% of the product costs – until well after the purchase was complete and it was too late for consumers to stop a shipment.

    -Deceiving consumers about “no risk” purchases: The complaint charges that PCH promised consumers that purchases from their site were “risk free,” but failed to inform consumers that they would be responsible for paying the return shipping on unwanted products.

    -Using misleading email subjects: The complaint charges that PCH used email subject lines that were deceptive, with subject lines like “High Priority Doc. W-34 Issued” or “W-19 Notice – Step 3 of 3 INCOMPLETE,” leading consumers to believe the email was related to a tax form or official requirement. But the documents referred to in these subject lines were complete fictions and nothing in the emails themselves even referred to these forms.  Numerous consumers clicked on these emails and purchased products or lost valuable time clicking through website pages.

    -Having misleading statements in its Privacy Policy: The complaint charges that PCH had a statement in the middle of its privacy policy prior to January 2019, which stated that it did “not rent, license, or sell” consumer data to third parties. The complaint charges that, in fact, PCH has shared consumer data with other marketers, advertisers, and publishing companies to target consumers with third-party ads.

    PCH agreed to settle the FTC’s charges that it violated the FTC Act and CAN-SPAM Act, and a proposed court order would require the company to turn over $18.5 million to the FTC to be used to refund consumers and make a number of key changes to its email and internet operations:

    -Stop deceiving consumers about purchases and sweepstakes: PCH would be prohibited from implying that that a purchase is required to enter a sweepstakes or that a purchase will increase the chances of winning. -Separate sweepstakes from sales: PCH would be required to clearly distinguish on its entry and order forms information related to entering and ordering.

    -Make clear disclosures: PCH would be required to make clear, conspicuous, and unavoidable disclosures on every shopping page that a purchase is not required to enter a sweepstakes and that purchasing will not help a consumer win, and include a link that will take consumers directly to a page where they can enter the sweepstakes without any sales messaging.  And in many cases, the company would be required to obtain a consumer’s express acknowledgement using a checkbox or similar means that ordering will not help them win and will not improve their chances of winning.

    -Stopping Surprise Fees: PCH would be required to clearly disclose the full price of any item it lists for sale, along with any additional fees for shipping and handling before a consumer commits to purchasing the item. PCH must also clearly disclose cancellation and return policies. -Stop deceptive emails: PCH would be prohibited from sending emails with deceptive subject lines and other conduct that violates the CAN-SPAM Act.

    -Destroy consumer data: PCH would be required to delete all consumer data that was collected prior to January 1, 2019. PCH would also be prohibited from misrepresenting the extent to which PCH collects and shares consumer data.

    -Preserve records: To help prevent further use of dark patterns, the order requires PCH to preserve records of any market, behavioral, or psychological research, or user, customer, or usability testing, including any A/B or multivariate testing, copy testing, surveys, focus groups, interviews, clickstream analysis, eye or mouse tracking studies, or analyses regarding consumers’ impressions of any ads, marketing, or promotions of sweepstakes or products.  

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