Noah The Cash Home Buyer, LLC
Do Not Call Policy
Date of Last Revision: February 18, 2026
Noah The Cash Home Buyer, LLC and its subsidiaries (collectively, “NTCHB”) is committed to compliance with the Telephone Consumer Protection Act (as amended from time to time, the “TCPA”) and respects the privacy of individuals. This Do Not Call (DNC) Policy (this “Policy”) outlines our procedures for maintaining a DNC list and ensuring compliance with the Federal Trade Commission’s Telemarketing Sales Rule (TSR) and TCPA regulations.
This policy applies to all employees, contractors, and agents of NTCHB who engage in telemarketing or telephone solicitation activities. It applies to calls and texts placed by NTCHB or on NTCHB’s behalf, and requires third‑party vendors to comply with this Policy and all applicable laws.
NTCHB will subscribe to, download, and scrub calling lists against the National Do Not Call Registry at least every 31 days and will honor applicable state DNC registries. Registry data will be used solely for compliance purposes.
NTCHB will retain records related to DNC requests and compliance efforts as follows: (a) internal DNC list entries maintained for at least five (5) years; and (b) general TSR telemarketing records retained consistent with TSR requirements (typically at least two (2) years).
DNC Requests / Opt‑Outs: To submit a request to be placed on the DNC list or revoke consent, individuals can contact NTCHB using:
NTCHB accepts revocation by any reasonable method, including replying to a text with “STOP,” “QUIT,” “END,” “CANCEL,” “UNSUBSCRIBE,” or “OPT OUT,” or by using the designated webform/phone/email above. Requests will be honored as soon as practicable and in no event later than 10 business days for robocalls/robotexts.
NTCHB recognizes the limited “Established Business Relationship” (EBR) concept under the TSR; however, if a consumer asks not to be called, NTCHB will honor the request regardless of any EBR.
For autodialed or prerecorded telemarketing calls/texts (e.g., to wireless numbers) and prerecorded calls to residential lines, NTCHB requires Prior Express Written Consent (PEWC) and maintains verifiable proof. Lead vendors must obtain clear, conspicuous, consumer‑specific consent designating NTCHB and provide auditable records upon request.
Note on “one‑to‑one” consent rulemaking: although the FCC’s seller‑specific consent update has faced delays/litigation, NTCHB reasonably endeavors to obtain seller‑specific, topic‑aligned consent and to adhere to clear‑and‑conspicuous disclosures, as a risk‑mitigating best practice.
If predictive dialers are used, NTCHB will comply with TSR abandonment restrictions and safe‑harbor parameters. Any prerecorded telemarketing message will include an automated, interactive opt‑out mechanism that allows the called party to make an immediate DNC request.
NTCHB reserves the right to amend this Do Not Call Policy at any time. Any changes will be communicated to employees and updated in relevant training materials.
Individuals can contact admin@ntchb.com with respect to any compliance issues relating to this DNC policy and TCPA/TSR regulations.