Business ProfileforLow Price Auto Glass
Current Alerts For This Business
Section 12 of the BBB Code of Advertising states, "Despite an advertiser's best efforts to ascertain competitive prices, the rapidity with which prices fluctuate and the difficulty of determining prices of all sellers at all times preclude an absolute knowledge of the truth of unqualified underselling/lowest price claims. Advertisers must have proper substantiation for all claims prior to dissemination. Unqualified underselling claims must be avoided. Advertisers can lessen the potential for consumer confusion by appropriate qualifications to any underselling/lowest price claim, such as by stating, if truthful, that the advertiser will meet or beat a lower price. In such circumstances, the advertiser must comply with Section 13."
Section 13 of the BBB Code of Advertising also states, "Advertisements which set out company policy of matching or bettering competitors' prices may be used, provided that: the offer is made in good faith; the offer clearly and conspicuously discloses fully any material and significant conditions which apply including, if applicable, what evidence a consumer must present to take advantage of the offer; and the terms of the offer are not unrealistic or unreasonable for the consumer."
Section 20 of the BBB Code of Advertising also states, "Advertisers should only use 'satisfaction guarantee,' 'money back guarantee,' 'free trial offer,' or similar representations in advertising if the seller or manufacturer refunds the full purchase price of the advertised product or service at the consumer's request. When 'satisfaction guarantee' or similar representations are used in advertising, any material limitations or conditions that apply to the guarantee must be clearly and conspicuously disclosed."
Section 28 of the BBB Code of Advertising also states, "Superlative statements in advertisements about the tangible qualities and performance values of a product or service are objective claims for which the advertiser must possess substantiation as they can be based upon accepted standards or tests. As statements of fact, such claims, like '#1 in new car sales in the city,' can be proved or disproved."
While the business initially made some modifications, as of March 28, 2023, the business has failed to substantiate, modify, or discontinue the remaining advertising claims in question.
Section 12 of the BBB Code of Advertising states, "Despite an advertiser's best efforts to ascertain competitive prices, the rapidity with which prices fluctuate and the difficulty of determining prices of all sellers at all times preclude an absolute knowledge of the truth of unqualified underselling/lowest price claims. Advertisers must have proper substantiation for all claims prior to dissemination. Unqualified underselling claims must be avoided. Advertisers can lessen the potential for consumer confusion by appropriate qualifications to any underselling/lowest price claim, such as by stating, if truthful, that the advertiser will meet or beat a lower price. In such circumstances, the advertiser must comply with Section 13."
Section 13 of the BBB Code of Advertising also states, "Advertisements which set out company policy of matching or bettering competitors' prices may be used, provided that: the offer is made in good faith; the offer clearly and conspicuously discloses fully any material and significant conditions which apply including, if applicable, what evidence a consumer must present to take advantage of the offer; and the terms of the offer are not unrealistic or unreasonable for the consumer."
Section 20 of the BBB Code of Advertising also states, "Advertisers should only use 'satisfaction guarantee,' 'money back guarantee,' 'free trial offer,' or similar representations in advertising if the seller or manufacturer refunds the full purchase price of the advertised product or service at the consumer's request. When 'satisfaction guarantee' or similar representations are used in advertising, any material limitations or conditions that apply to the guarantee must be clearly and conspicuously disclosed."
Section 28 of the BBB Code of Advertising also states, "Superlative statements in advertisements about the tangible qualities and performance values of a product or service are objective claims for which the advertiser must possess substantiation as they can be based upon accepted standards or tests. As statements of fact, such claims, like '#1 in new car sales in the city,' can be proved or disproved."
While the business initially made some modifications, as of March 28, 2023, the business has failed to substantiate, modify, or discontinue the remaining advertising claims.
At-a-glance
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Business Details
- Location of This Business
- 8835 S Central Expy, Dallas, TX 75241-7507
- BBB File Opened:
- 11/8/2004
- Years in Business:
- 16
- Business Started:
- 5/13/2008
- Business Started Locally:
- 5/13/2008
- Business Incorporated:
- 1/18/2008
- Type of Entity:
- Limited Liability Company (LLC)
- Alternate Business Name
- Jacob's Auto Glass, LLC
- Business Management
- Mr. Thomas Yakoob, LLC Managing Member
- Contact Information
Principal
- Mr. Thomas Yakoob, LLC Managing Member
Customer Contact
- Mr. Samuel Jacobs, LLC Managing Member
- Mr. Thomas Yakoob, LLC Managing Member
- Additional Contact Information
Email Addresses
- Primary
Customer Complaints
0 Customer Complaints
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