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Unfortunately, the United States lags behind other countries in recognizing the importance of robotics technology. While the European Union, Japan, Korea, and the rest of the world have made significant R&D investments in robotics technology, the U.S. investment, outside unmanned systems for defense purposes, remains practically non-existent. Unless this situation can be addressed in the near future, the United States runs the risk of abdicating our ability to globally compete in these emerging markets and putting the nation at risk of having to rely on the rest of the world to provide a critical technology that our population will become increasingly dependent upon. Robotech clearly represents. | Last Update Sept. 30 2003 Commission Enforcement Actions Involving the Internet and Online Services The Commission s first Internet case 1. FTC v. Corzine CIV-S-94-1446 E.D. Cal. filed Sept. 12 1994 Defendant Brian Corzine a k a Brian Chase d b a Chase Consulting. x 1 Defendant ran advertisements on America Online offering a credit repair kit. He represented that purchasers of his credit repair kit could legally establish a new credit file. The credit repair kit sold for 99. On September 12 1994 the FTC filed a complaint charging defendant with misrepresentations in violation of 5 of the FTC Act. The Court entered an ex parte Temporary Restraining Order including a freeze of defendant s assets. On November 21 1994 the Court entered a Consent Decree enjoining defendant against making misrepresentations concerning credit repair programs and requiring the payment of 1 917 in consumer redress. http www.ftc.gov opa predawn F95 chaseconsultin.htm press release - complaint TRO The Commission s first online sweep Chicago Regional Office s cases Credit repair 2. Martha Clark Docket No. C-3667 final consent June 10 1996 Respondent Martha Clark d b a Simplex Services. x 2 Respondent maintained a site on the World Wide Web offering a credit repair kit. The FTC alleged she falsely represented that purchasers of her credit repair kit could remove accurate non-obsolete information from their credit reports. Her program sold for 39. On April 1 1996 the FTC placed a proposed administrative consent order on the public record for comment. The consent order became final on June 10 1996. The order requires respondent to cease and desist from making misrepresentations concerning methods of removing adverse information from a credit report. http www.ftc.gov opa 1996 9603 netsc.htm press release - sweep http www.ftc.gov opa 1996 9606 petapp37.htm press release - final consent 3. Brian Coryat Docket No. C-3666 final consent June 10 1996 Respondent Brian Coryat d b a Enterprising Solutions.