Direct answer and scope

The policy allows fixed-fee display advertising separated from editorial content. Paid units are labeled where they appear so the commercial relationship is disclosed at the placement rather than left only to a general disclosure elsewhere.

Display advertising is kept out of workbook inputs and results and separate from editorial ordering. The policy also excludes compensation connected to a completed arrangement, a provider choice or a recommendation about disposition.

The policy is limited to display advertising. It does not create an endorsement, provider recommendation or evaluation of an advertiser. The absence of reviews or testimonials also does not establish anything about an advertiser’s quality or history.

How to use the official evidence

The advertising terms draw separate boundaries from separate authorities. California disciplinary provisions address false or misleading funeral advertising and certain commissions or recommendations connected with procuring funeral business or directing disposition. The resulting commercial policy uses fixed-fee display arrangements and rejects compensation tied to a funeral, arrangement, provider choice or disposition recommendation.

Federal endorsement guidance addresses disclosure of material advertiser relationships that could affect how an endorsement is evaluated. Each paid unit therefore needs a clear label at the placement. A general disclosure elsewhere is not treated as a substitute for evaluating the disclosure needed for each placement and creative.

Federal rules governing consumer reviews and testimonials prohibit specified deceptive practices. Invented, purchased, suppressed or misleadingly presented reviews are not accepted. Reviews, testimonials and review schema are outside the launch advertising program.

The consumer cost sources serve a different purpose. They support itemized, like-for-like comparison using values copied from current written documents, but they do not provide a current statewide average California funeral price. Advertisers cannot supply workbook defaults, alter entered values or influence results.

Decision framework

A prospective advertiser should first decide whether a fixed-fee display arrangement fits the campaign. Compensation must remain independent of individual consumer actions, funeral arrangements, provider selections and disposition recommendations.

Next, evaluate the proposed creative and its paid label together. The label must be clear at the placement. Creative must not blur the distinction between advertising, editorial material and workbook functions, and it must not suggest that payment affects comparison results or editorial sequence.

Then determine whether the campaign relies on reviews or testimonials. Reviews and testimonials are not part of the launch advertising program, and review schema is not published at launch.

Finally, confirm that the proposed display advertising can remain separate from editorial content, workbook inputs and workbook results. The proposed creative and its label should be included in the current California legal review required before launch.

Limits and what to verify next

Before launch, the written terms and creative require current California legal review. Material changes require another current review. That review does not replace continuing compliance work or checks against current official sources, and the fixed-fee structure is not a legal safe harbor.

Confirm the placement, term, fee structure, paid label and editorial separation in writing. Also confirm that the creative contains no review or testimonial material and does not imply control over workbook calculations, editorial order, provider choice or disposition recommendations.

Official requirements and guidance can change. Advertisers should verify the current California disciplinary provisions, current federal endorsement guidance and current federal review and testimonial requirements when a campaign is prepared or materially revised. These terms provide a commercial policy framework, not case-specific legal advice.

Questions people ask

The answers below summarize display advertising boundaries, separation from cost tools and editorial work, compensation restrictions, review status and the need for current California legal review.

Available advertising placements
PlacementLocationCreative sizeCommercial model
HeaderDesktop page header970×90 recommendedFixed term or fixed impressions
Mobile headerBelow mobile navigation320×100 recommendedFixed term or fixed impressions
Sidebar squareEditorial sidebar300×250 recommendedFixed term or fixed impressions
Sidebar tallLong-form sidebar300×600 recommendedFixed term or fixed impressions
Section sponsorBetween clearly separated sectionsResponsiveFixed term or fixed impressions

Evidence behind this page

Each point below is restricted to what the cited primary source supports. Administrative listing status is not a quality endorsement.

Claim-level evidence used on this page
EvidenceSupported pointScope and limitation
Evidence 1Offer a like-for-like worksheet based solely on values the user copies from current written documents.A lower entered subtotal does not establish completeness, availability, quality, suitability, or a final bill.
Evidence 2Explain why this resource leaves every amount empty until the user enters evidence from a current document.Do not extrapolate a market average, range, likely total, cheapest option, or inflation-adjusted estimate from these sources.
Evidence 3Use conservative fixed-fee display advertising separated from editorial content and reject compensation tied to a funeral, arrangement, provider choice, or disposition recommendation.This is not a legal safe harbor; launch and material changes require current California legal review.
Evidence 4Label every paid unit at the placement and keep advertising out of workbook inputs, results, and editorial ordering.A sitewide disclosure alone may not be sufficient for every placement or creative.
Evidence 5Reject invented, purchased, suppressed, or misleadingly presented reviews and do not publish review schema at launch.Do not imply that the absence of reviews establishes quality or a clean history.

Questions people ask

Which gray banner placements are available?

Current inventory and availability are not established by the cited advertising-policy evidence. Any paid display unit that is offered must be clearly labeled at its placement and kept separate from workbook inputs, results and editorial ordering.

Can an advertiser appear inside the cost workbook?

No. Advertising is kept out of workbook inputs and results. The workbook uses only values a user copies from current written documents, leaves amounts empty until the user enters them and does not allow an advertiser to change the calculation.

Do you sell funeral leads or calls?

No. The commercial policy uses fixed-fee display advertising and rejects compensation connected to an individual funeral, arrangement, provider choice or disposition recommendation.

Can payment change editorial order?

No. Advertising is kept separate from editorial ordering and out of workbook inputs and results. Paid units must be labeled where they appear.

Are reviews or testimonials included?

No. Reviews and testimonials are not accepted as part of the launch program, and review schema is not published at launch. The lack of review content does not establish an advertiser’s quality or history.

Why does advertising require current California legal review?

California disciplinary provisions address false or misleading funeral advertising and certain compensation or recommendations connected with procuring funeral business or directing disposition. Current review is required before launch and after material changes, but it is not a legal safe harbor and does not replace continuing compliance checks.

Request advertising information

No payment is taken on this page. Submitting the form requests availability and terms; it does not buy placement or change any editorial or directory record.

We use the submitted details only to answer this inquiry and keep an abuse-prevention log. No payment is taken through this form.

Primary sources

  1. Federal Trade Commission — Funeral Costs and Pricing Checklist Verified 2026-08-26
  2. California Cemetery and Funeral Bureau — Consumer Guide to Funeral and Cemetery Purchases Verified 2026-08-26
  3. Federal Trade Commission — Endorsement Guides Questions and Answers Verified 2026-08-26
  4. Federal Trade Commission — Consumer Reviews and Testimonials Rule Verified 2026-08-26
  5. California Legislative Information — Business and Professions Code Article 6 Disciplinary Proceedings Verified 2026-08-26