Hospitality & Travel Messaging Compliance

Complete Guide to 10DLC & TCR for Hotels, Restaurants, Airlines, and Travel Services

5-Page Guide TCR Compliant Audit-Ready
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Hospitality & Travel SMS: Operational Focus

Hospitality and travel represent 12-15% of U.S. 10DLC message volume, with highest concentration in quick-service restaurants, airlines, and hotel chains. This vertical exhibits lower TCPA litigation risk (5-8% vs. industry average 12%) due to transactional messaging focus, but faces operational challenges from distributed teams and guest communication complexity.

Industry-Specific Messaging Patterns

Hospitality and travel SMS spans multiple use cases requiring separate TCR registrations:

  • Reservations Booking confirmations, reminders, cancellations (Account Notifications)
  • Check-In Mobile check-in links, room assignments (Delivery Notifications)
  • Service Updates Flight delays, restaurant wait times, room readiness (Delivery Notifications)
  • Guest Services Concierge requests, spa appointments, dining reservations (Customer Care)
  • Loyalty Points notifications, exclusive offers, anniversary rewards (Marketing)
  • Post-Visit Feedback surveys, thank you messages, special offers (Marketing)
  • Staff Ops Shift reminders, schedule changes, facility alerts (Account Notifications)

Unique Operational Challenge: Guest vs. Staff

Hospitality organizations should register separate campaigns for guest communications vs. employee/contractor messaging. This prevents operational staff changes from disrupting guest reservation systems and enables employee-specific TCR compliance protocols.

TCR Rejection Patterns

Hospitality TCR rejections average 15-20%, with primary causes: unclear use case descriptions mixing guest and staff messaging, sample messages containing sensitive reservation details, or overly promotional loyalty program language suggesting marketing prioritization over service.

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TCR Registration Strategy for Hospitality

Hospitality TCR registration requires clear separation of guest-facing and operational messaging, with emphasis on transactional service delivery over promotional engagement.

Recommended Campaign Structure

Campaign Name Use Case Audience Approval Rate
Reservations & Check-In Account Notifications Guests 96%+
Service Updates Delivery Notifications Guests 94%+
Staff Operations Account Notifications Employees 95%+
Loyalty Rewards Marketing Members 80-88%

Brand Registration Best Practices

  • Business Description: Focus on operational function: "[Hotel/Restaurant Name] guest communication and service platform" vs. "marketing and promotions"
  • Sample Messages: Lead with reservation confirmation and service updates, not promotional messaging
  • DUNS Registration: Obtain DUNS verification before TCR submission (+15 points for hospitality)
  • Website Authority: Ensure website displays current reservations system, menu/pricing, booking interface

Red Flags in Hospitality Registration

TCR reviewers flag hospitality registrations for: sample messages appearing promotional ("special dinner offered," "exclusive member pricing"), vague descriptions blending guest and staff messaging, or insufficient operational verification (no active booking system visible). Provide concrete service messaging examples with guest benefit clarity.

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TCPA & Guest Consent Management

Hospitality TCPA compliance centers on guest consent capture during booking and loyalty program enrollment, plus operational staff agreements.

Guest Consent Framework

  • Reservation SMS Transaction confirmation permitted with basic disclosure at booking (checkbox or checkbox pre-checked acceptable if clear disclosure provided).
  • Service Updates Account notification classification; limited consent required during reservation process.
  • Loyalty Program Marketing classification; explicit opt-in checkbox required during program enrollment.
  • Post-Visit Requires explicit affirmative consent; honor guest opt-out requests immediately.

Guest Consent Capture Checklist

  • Reservation confirmation SMS opt-in disclosed
  • Loyalty program SMS opt-in separate
  • Consent captured with timestamp & booking #
  • STOP keyword responses sent immediately
  • Guest SMS preferences synced across properties
  • Consent records retained 4+ years

Multi-Property Coordination

Hotel chains and restaurant groups must implement centralized SMS consent management:

  • Central Database: Master guest phone database with SMS opt-in status (prevents double opt-in across properties)
  • Do-Not-Contact Syncing: Guest opt-outs immediately sync to all properties
  • Franchise Coordination: Franchisees use parent company SMS numbers and consent database
  • Channel Separation: Guests may opt-in at one property but opt-out at another; honor channel-specific preferences

Compliant Hospitality SMS Examples

  • ✓ "Reservation confirmed: [Hotel] 3/15-3/17. Check-in link: [url]. Reply STOP to opt-out. -[Hotel]"
  • ✓ "Your table is ready. Please proceed to [Restaurant Name]. See you soon!"
  • ✓ "Flight delayed: Gate info available at [app]. Rebooking assistance: [link]. -[Airline]"
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CTIA Content Compliance & Guidelines

Hospitality SMS must comply with CTIA content guidelines while maintaining operational clarity and guest safety communication.

Prohibited Hospitality Content

  • Unsubstantiated quality claims ("World's best restaurant," "five-star service")
  • Discriminatory targeting or selective messaging to guest demographics
  • Affiliate or third-party vendor promotion without clear sponsorship disclosure
  • Scam-like messaging patterns (urgency, limited offers, pressure language)
  • Inappropriate personal guest comments or reviews

Guest Communication Frequency

Operational/Service

Unlimited during active reservation (check-in, delays, emergencies)

Marketing/Promotions

Maximum 2-3 per week recommended

Loyalty Rewards

Weekly maximum acceptable; daily if specifically opted-in

Post-Stay Follow-Up

Single message maximum 2-7 days post-checkout

Safety & Emergency Communications

If SMS used for guest safety alerts (fire alarm, emergency evacuation, facility emergencies), register separate "Emergency Alert" campaign under Public Service Announcements use case. Emergency messaging exempt from frequency limits and permitted even for opted-out guests in crisis situations.

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Implementation & Multi-Location Operations

Hospitality SMS implementation requires centralized platforms preventing individual property compliance failures from jeopardizing organization-wide messaging.

Centralized Platform Architecture

  • Parent Company Registration: Single TCR registration covering all properties (not per-location)
  • Centralized Guest Database: Master phone number database with guest SMS preferences across all locations
  • Template System: Pre-approved SMS templates at corporate level preventing unauthorized messaging
  • Property-Level Customization: Properties customize templates with location-specific details (name, address, phone)
  • Audit Trail: Complete logging of SMS by property, time, recipient enabling compliance verification

Franchise & Third-Party Operator Compliance

  • Master SMS License: Franchise/parent company controls SMS platform and TCR registration
  • Operator Restrictions: Franchisees limited to pre-approved templates; corporate review required for custom messaging
  • Compliance Training: Quarterly training for all location staff on SMS compliance requirements
  • Audit Schedule: Monthly/quarterly message sampling and compliance review per location

Pre-Launch Hospitality SMS Verification

  • All TCR campaigns registered and approval status confirmed
  • Centralized guest SMS database established with multi-property opt-out sync
  • SMS templates pre-approved by corporate legal/compliance
  • Reservation system SMS consent capture verified at booking
  • Loyalty program SMS opt-in separate from reservation confirmation
  • Property manager training completed for SMS compliance protocols

Industry Compliance Playbooks Bundle

Part of MyTCRPlus Professional Services Program

This playbook provides general compliance guidance based on TCR, TCPA, and CTIA frameworks. Hospitality and travel organizations should consult qualified legal counsel for regulatory-specific compliance strategy. Carrier policies are subject to change; verify current requirements before campaign deployment.

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