The ASA/CAP have released a post called: Top tips for responsible influencer marketing. I have enclosed the text of the link below, but please have a look at the ASA/CAP site as there are lots of things of interest to anyone with an interest in Ethical Marketing.
There’s nothing wrong with influencers entering commercial relationships with marketers/brands or agencies, but consumers must not be misled. Usually, when it comes to influencers and creators (e.g. vloggers, bloggers, personalities, celebrities or other content creators online), the general assumption is that a decision to mention a brand independently rests with the influencer. That’s why, if the mention of a brand (or indeed any other content) results from a commercial relationship, this needs to be made clear to avoid misleading the audience.
Here are some top tips to help you ensure your influencer marketing, at least insofar as it is covered by the ASA, is responsible.
What’s in a name?
Ads that are very similar in terms of tone or voice as an influencer’s usual posts are very likely to need a label to distinguish them. At a minimum, the ASA is likely to expect such posts to include a prominent label upfront (which usually means ‘at the beginning’ of the ad – wherever that might be) to highlight that a post is a marketing communication.
The CAP Code specifically refers to “Advertisement Feature” as an appropriate label for ‘advertorial’ content and “Ad”, “Advert”, “Advertising”, “Ad Feature” and similar are all very likely to be considered acceptable by the ASA (with or without a ‘#’, brackets or similar – though this might, in some contexts, make it stand out better).
We would generally advise against using labels like “sponsored” because it’s open to varied interpretation. Similarly, labels like “Supported by”, “Funded by”, “Gifted” and “Thanks to ‘X’ for making this possible” are unlikely to be clear enough to make clear that something is an ad. The label used must also be easily understood by any consumers, so labels like “affiliate”, “aff”, “sp”, “spon” and other abbreviations that consumers are unlikely to be familiar with are best avoided.
Any label, or other means, used to make the ad ‘obviously identifiable’ also needs to be timely, ensuring consumers know they will be viewing an ad before they watch it (or read, click or otherwise interact with the advertising content).
For further guidance see our ‘Influencers’ guide to making clear that ads are ads’.
Think of the children
When directly targeting under-12s, you’ll need to make it even clearer when something is an ad. While most children will have developed the ability to recognise most forms of marketing by the time they reach 8 years old, those under the age of 12 often still struggle to recognise highly integrated and immersive marketing in online spaces.
For that reason, marketers that are targeting this age group need to bear three main points in mind. First, the disclosure must be prominent – generally meaning large and colourful enough to stand out. Second, it should also appear as the ad is first seen. Third, the identity of the marketer should be clear upfront.
Consider all aspects of the Code
Finally, it is important to always consider the rest of the CAP Code – making clear something’s an ad isn’t the only requirement for ad content. As ever, marketing communications should, among other things, be socially responsibly and not mislead consumers materially or cause serious or widespread offence.
For more, see our advice on some of the factors that might influence the choice of influencer and our advice on medicines and influencer marketing.
You can find further advice and guidance on influencer marketing at www.asa.org.uk/influencers. Our Copy Advice team are also on hand to provide free, bespoke advice.