NAD Finds Supported Certain Advertising Claims for SimpliSafe Home Security; Recommends Modification / Discontinuation of Others, Including Claim that its System Enables Police to Dispatch 3.5x “Faster”

For Immediate Release

Contact: Laura Brett, Director, NAD, 212.705.0109 /


New York, NY – April 20, 2020 – The National Advertising Division (“NAD”) determined that SimpliSafe, Inc. supported certain advertising claims for SimpliSafe Home Security, including claims that the system is equipped with features to keep it functioning after an event which may disrupt the system and that SimpliSafe did not have a material connection with certain third-party endorsers. However, NAD recommended modification or discontinuation of other challenged claims, including dispatch speed claims that its system enables police to dispatch 3.5x “faster,” a monitoring and notification claim, and a battery life claim. NAD also recommended modifications to line claims, as well as to challenged endorsements and a testimonial. The claims were challenged by ADT Security Services.

NAD is an investigative unit of the advertising industry’s system of self-regulation and is a division of the BBB National Programs’ self-regulatory and dispute resolution programs.

The following are representative of the challenged claims:


Dispatch speed claims:

  • “We dispatch 350% faster.”
  • “We verify the alarm is real, so police dispatch 350% faster.”
  • Police respond “up to 3.5x faster.”
  • Implied claim that SimpliSafe alarms consistently result not only in the dispatch of emergency response services, but that emergency services arrive to aid customers 3.5 times faster than when using a security system from any other competitor.


Monitoring and notification claim:

  • “Our monitoring staff calls you the second trouble’s detected.”


Line claims:

  • SimpliSafe systems “Protects every door, room, window” and “Protects against intruders, fires, water damage, and more,” appearing on SimpliSafe’s website on both the homepage and on a comparison chart to “Traditional Home Security,” as well as in other contexts, such as SimpliSafe’s television, radio, podcast and social media advertising.


System protection claim:

  • “Prepared for the unexpected – Someone attacks the system? SimpliSafe is ready.”


Endorsements and Testimonials:

  • SimpliSafe is “the #1 home security pick of CNET, the Wirecutter, PC Magazine, the Verge and more.”
  • “Our monitoring service was named the best in the industry.”
  • “The best home security system”; “The most comprehensive . . . the most reliable”; “SimpliSafe belongs at the top of your list”; “a seamless system.”


Range and battery life claims:

  • “Unparalleled range. Most wireless security systems can’t cover your house. Ours can – up to 1000ft. range.”
  • The battery for SimpliSafe’s entry sensors lasts for almost a decade.


NAD recommended that SimpliSafe discontinue the challenged dispatch speed claims, which expressly claim that its system enables police to dispatch 3.5x “faster” than customers who have other alarm systems. This recommendation was based on NAD’s determination that the evidence relied on by the advertiser was not a good fit for its dispatch speed claims because it measured “response” times (not “dispatch” times), and it did not collect data specifically measuring police response times to alarms from SimpliSafe customers or from any other competing system’s alarms.

NAD determined that the message reasonably conveyed by SimpliSafe’s system protection claim - “Prepared for the unexpected – Someone attacks the system? SimpliSafe is ready” – is that the SimpliSafe system is equipped with features to keep it functioning after an event which may disrupt the system. SimpliSafe demonstrated that such features exist to maintain the system’s functionality after an occurrence such as the loss of power or Wi-Fi, therefore NAD concluded that the claim is substantiated.

NAD recommended that SimpliSafe discontinue the claim that its “monitoring staff calls you the second trouble’s detected” because SimpliSafe had not demonstrated that its monitoring service calls SimpliSafe customers to verify alarms within a few seconds.

With regard to the challenger’s contention that SimpliSafe makes improper line claims throughout its advertising, NAD determined that much of the challenged advertising speaks generally to the SimpliSafe brand and system. However, in certain contexts where SimpliSafe does not make it clear that certain performance benefits depend on which features and products the consumer elects to pay for, NAD determined that consumers may reasonably understand that they will receive the performance benefits from each of SimpliSafe’s products when not all of the packages available from SimpliSafe provide those benefits.

NAD found that, with respect to the top of the homepage on SimpliSafe’s website where claims state that SimpliSafe offers “Whole Home Protection,” protecting “every door, room [and] window” and protection against “intruders, fires, water damage and more,” those claims, in the context in which they are conveyed, disclose that different packages and configurations of the SimpliSafe system provide the claimed benefits. NAD, however, recommended that SimpliSafe discontinue the comparison chart to “Traditional Home Security” on its website or modify it to accurately disclose the particular SimpliSafe packages that provide the claimed benefits, and avoid conveying an unsupported message about the benefits that traditional home security systems can provide.

NAD further recommended that SimpliSafe modify its television, radio, podcast, and social media advertising to avoid conveying the misleading message that all of the touted benefits and options are available with every SimpliSafe package. NAD also recommended that SimpliSafe modify the claim “Unlike other alarm companies, we verify your alarm, so police know it’s not a false alarm” to remove the references to other alarm companies because SimpliSafe did not substantiate that other alarm companies do not have video verification.

With respect to the challenged endorsements and testimonials, NAD recommended that SimpliSafe modify its claim that SimpliSafe is “the #1 home security pick of CNET, the Wirecutter, PC Magazine, the Verge and more” to clarify that the claim is limited to reviews of DIY systems. Further, SimpliSafe informed NAD that it had permanently modified its advertising to discontinue references to Wirecutter’s review of SimpliSafe from 2018. Additionally, NAD recommended that SimpliSafe discontinue the claim that “Our monitoring service was named the best in the industry,” or modify the claim to disclose the date of the award.

NAD also evaluated whether the existence of an affiliate relationship between SimpliSafe and the publications whose reviews are referenced in its advertising requires SimpliSafe to disclose that relationship on its website in connection with that advertising. The record indicated that there was no connection between the commercial arrangements between the publishers and SimpliSafe, in which the publishers derive some revenue from SimpliSafe generated by sales of SimpliSafe systems from those affiliate links, and the editorial content from those publications referenced in SimpliSafe’s advertising. Thus, NAD determined that the editorial content was sufficiently independent to conclude that there was not a material connection of the kind that may impact consumers’ assessment of the reviews of SimpliSafe’s products and require a disclosure.

Further, with regard to the testimonial from Chief Balog of the Genoa City (Wisconsin) stating “We use it to catch criminals. My force used SimpliSafe to stop a serial burglary ring. It still helps us catch criminals in the act today,” NAD recommended that SimpliSafe clearly and conspicuously disclose the material connection between Chief Balog’s police department and SimpliSafe. NAD noted such a disclosure is required because consumers would reasonably assume that a police department purchases the equipment used in its operations and not expect that the equipment was provided free of charge with the possibility of a favorable testimonial contemplated.

In addition, NAD determined that SimpliSafe has a reasonable basis for the claim that the battery for SimpliSafe’s entry sensors lasts for almost a decade, but recommended that SimpliSafe modify its battery life claim to include a clear and conspicuous disclosure that actual battery life will depend on the level of usage. Finally, SimpliSafe informed NAD that, for reasons unrelated to the present challenge, it would permanently discontinue the claim “Unparalleled range. Most wireless security systems can’t cover your house. Ours can – up to 1000ft. range.” NAD, relying on the advertiser’s representation that the claim has been permanently discontinued, did not review this claim on its merits. The voluntarily discontinued claim will be treated, for compliance purposes, as though NAD recommended its discontinuance and the advertiser agreed to comply.

In its advertiser’s statement, although SimpliSafe disagreed with some of NAD’s findings, it agreed to comply with NAD’s recommendations. SimpliSafe stated that it “believes in the self-regulatory process and supports NAD’s mission as a forum for advertisers to resolve advertising matters” and that it will “work to update its advertising in light of NAD’s recommendations.




About the National Advertising Division: National Advertising Division (NAD), a division of BBB National Programs, provides independent self-regulation overseeing the truthfulness of advertising across the U.S. NAD reviews national advertising in all media and its decisions set consistent standards for truth and accuracy.

About BBB National Programs: BBB National Programs fosters trust, innovation, and competition in the marketplace through the development and delivery of cost-effective, third-party self-regulation, dispute resolution and other programs. BBB National Programs is the home of industry self-regulatory and dispute resolution programs that include the National Advertising Division (NAD), National Advertising Review Board (NARB), BBB EU Privacy Shield, BBB AUTO LINE, Children’s Advertising Review Unit (CARU), Children’s Food and Beverage Advertising Initiative (CFBAI), Children’s Confection Advertising Initiative (CCAI), Direct Selling Self-Regulatory Council (DSSRC), Digital Advertising Accountability Program (Accountability Program), and the Coalition for Better Advertising Dispute Resolution Program (CBA DRM). The programs are designed to resolve business issues and advance shared objectives by responding to marketplace concerns to create a better customer experience. To learn more about industry self-regulation, please visit:


Latest News


Certain Health Claims for Halotherapy Solutions Infrared Sauna Permanently Discontinued Following NAD Inquiry

New York, NY – September 2, 2020 – Halotherapy Solutions stated that it will permanently discontinue the health-related advertising claims for its Infrared Sauna that were at issue in an inquiry before the National Advertising Division (NAD). 
Read Decision

Infinity Superfoods Voluntarily Discontinues Social Media and Blog Post for Infinity-C Following NAD Inquiry into Implied COVID-19 Messages

Following an inquiry by the National Advertising Division (NAD) of BBB National Programs, Infinity Superfoods discontinued a social media post and related blog posts for its Infinity-C dietary supplement. 
Read more

NAD Finds Certain T-Mobile 5G Speed and Coverage Claims Supported; Recommends Modification or Discontinuance of Others; Advertiser to Appeal

The National Advertising Division (NAD) of BBB National Programs determined that T-Mobile US, Inc. supported claims that its 5G service is faster than a competitors’ 4G, as well as its own 4G, but recommended it discontinue express and implied claims that its 5G network is more reliable than...

Read more

NAD Recommends Verizon Modify or Discontinue Some Superiority Claims for Fios, Finds Qualified “Fastest Speed” Claim Substantiated; Both Parties to Appeal

The claims at issue were challenged by Charter Communications, Inc., provider of competing internet services. Verizon is appealing, and Charter is cross-appealing, certain NAD recommendations to the National Advertising Review Board. 
Read more