Acceptable Use Policy

Last Updated: June 4, 2025

 

This Acceptable Use Policy (“AUP”) governs how you may use the Nexdial platform, services, APIs, and related infrastructure (collectively, the “Services”). This AUP is incorporated by reference into your Terms and Conditions of Service (“Terms”) and forms a binding part of your agreement with Nexdial, Inc. (“Nexdial,” “we,” “us,” or “our”).

Nexdial provides AI-powered outbound dialing technology. The integrity of the platform — and the safety of the people reached through it — depends on every customer and user operating within these boundaries. Violations may result in immediate account suspension, termination, and legal action.

Violations of this AUP may result in immediate suspension or termination of your Services without notice or refund, referral to law enforcement, and civil or criminal legal action.

 

1. Scope & Applicability

This AUP applies to:

This AUP applies globally. Where specific laws of a jurisdiction impose additional requirements beyond this AUP, those requirements apply in addition to (not instead of) the terms set out here.

 

2. Telephone & Telemarketing Law Compliance

2.1  Telephone Consumer Protection Act (TCPA) — 47 U.S.C. § 227

All campaigns conducted through Nexdial must comply fully with the TCPA. You must:

A single TCPA violation can result in statutory damages of $500–$1,500 per call or text. Class actions under the TCPA regularly result in multi-million dollar settlements. You bear full, independent legal liability for all TCPA violations arising from your use of Nexdial.

2.2  FCC Regulations

2.3  FTC Telemarketing Sales Rule (TSR) — 16 C.F.R. Part 310

2.4  State Telemarketing & DNC Laws

In addition to federal requirements, you must comply with applicable state telemarketing laws. States with additional requirements include (but are not limited to):

 

3. Contact Data Standards

3.1  Lawful Collection

All Contact Data uploaded to or used in connection with the Services must:

3.2  List Hygiene Requirements

3.3  Prohibited Data Sources

You may not upload Contact Data obtained from:

 

4. Campaign Content Standards

4.1  Truthfulness & Non-Deception

All communications initiated through the Services must be truthful, non-deceptive, and not misleading. You must not:

4.2  AI Disclosure Requirements

Nexdial’s AI dialer conducts human-like conversations using NLP technology. You must ensure that:

As of 2024, the FCC has issued guidance affirming that AI-generated voice calls are subject to TCPA restrictions. Nexdial will update this policy as federal and state regulations governing AI voice calls evolve.

4.3  Prohibited Campaign Content

You may not use the Services to conduct campaigns that involve:

 

5. Technical & Platform Use Standards

5.1  Fair Use of Platform Resources

5.2  Prohibited Technical Activities

You must not:

5.3  Account & Credential Security

 

6. Prohibited Uses — Comprehensive List

In addition to the specific prohibitions above, the following uses of the Services are strictly prohibited regardless of jurisdiction or stated intent:

6.1  Illegal & Harmful Conduct

6.2  Fraud & Deception

6.3  Spam & Unsolicited Communications

6.4  Intellectual Property & Privacy Violations

 

7. Monitoring & Enforcement

7.1  Nexdial’s Right to Monitor

Nexdial reserves the right (but assumes no obligation) to monitor use of the Services for compliance with this AUP. Monitoring may include review of call metadata, campaign configurations, connection rates, call patterns, and complaint data. Nexdial will not monitor the content of individual conversations except as required to investigate specific AUP violations or as permitted by the Privacy Policy.

7.2  Reporting Violations

To report a suspected AUP violation, contact Nexdial at:

7.3  Enforcement Actions

Upon discovering or receiving notice of an AUP violation, Nexdial may, at its sole discretion:

7.4  Cooperation with Authorities

Nexdial will cooperate with government, law enforcement, and regulatory authorities in connection with investigations of potential violations of law involving the use of our Services. This includes disclosing customer information where lawfully required to do so.

 

8. Customer Liability

Nexdial is a technology provider and platform operator. You are fully, independently, and solely responsible for:

Nexdial’s provision of technology does not make Nexdial a co-initiator of your calls for TCPA or FCC liability purposes. However, Nexdial reserves all rights to cooperate with regulatory investigations and to seek contribution or indemnification where Nexdial incurs liability as a result of your violations.

 

9. Updates to This Policy

Nexdial may update this AUP from time to time to reflect changes in law, regulation, industry standards, or platform capabilities. We will provide at least 30 days’ advance notice of material changes via email and in-platform notification. Your continued use of the Services after the effective date of any update constitutes your acceptance of the revised AUP.

 

10. Contact & Compliance Inquiries

For questions about this AUP, compliance requirements, or to report a violation:

 

Nexdial, Inc.

Email: support@nexdial.com

Phone: (863) 434-7257

Website: www.nexdial.com

 

If you have questions about how to structure your campaigns to comply with the TCPA, FCC regulations, or applicable state telemarketing laws, we strongly recommend consulting with qualified legal counsel experienced in telecommunications and consumer protection law.

Schedule a 15-minute strategic call to discuss your business.

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