Install
openclaw skills install auto-glass-repair-marketing-kitGenerate compliant marketing content for auto glass shops enforcing AGSC certification, ADAS recalibration disclosure, Nevada insurance laws, OEM glass truth...
openclaw skills install auto-glass-repair-marketing-kitGenerate compliance-accurate marketing content for auto glass repair and replacement shops. Every output enforces AGSC/AGRSS installation safety standards, ADAS recalibration disclosure requirements, Nevada's deductible waiver insurance fraud statute, OEM vs. aftermarket glass truth-in-advertising rules, and FTC 2023 endorsement guidelines. No general AI tool knows any of these gates exist.
Auto Glass Safety Council Standard 150 (formerly AGRSS) governs adhesive type (urethane-based, FMVSS 212/208 compatible), primer application, surface prep, and minimum safe drive-away time (MDAT). MDAT is adhesive-specific — Sika Tack Ultra ranges from 30-60 min; Dow Betaseal 1 hour minimum; some OEM restoration adhesives require 8 hours. Marketing claims like "out in 30 minutes" or "safe to drive immediately" without AGSC-certified technician verifying MDAT for the specific adhesive used = implied safety misrepresentation under FTC Act Section 5 and Nevada NRS 598. "OEM installation standards" requires AGSC certification. This skill enforces AGSC certification disclosure on every installation claim.
Gate: If AGSC certification not held → remove all "safe drive-away," "OEM installation," and "certified installation" claims. Replace with honest capability framing only.
Any vehicle with a camera or sensor mounted on or near the windshield (forward collision warning, lane departure, adaptive cruise, automatic emergency braking) requires post-installation recalibration. Affected systems include: Tesla Autopilot, Subaru EyeSight, Toyota Pre-Collision System, Honda Sensing, Mazda 360° View, Ford Co-Pilot360, GM Super Cruise, Volvo IntelliSafe, Hyundai SmartSense. Two types: static recalibration (targets mounted at fixed distances in controlled environment — Autel ADAS Pro, Launch X-431 ADAS Pro+, Bosch DAS 3000) and dynamic recalibration (drive cycle under specific speed/road conditions with scan tool connected). Shops that advertise "complete windshield service" or "we handle everything" without ADAS recalibration disclosure when the vehicle has ADAS = deceptive trade practice + safety liability. NHTSA has flagged improperly calibrated ADAS as crash causation. This is a life-safety disclosure requirement, not a marketing preference.
Gate: If shop does not perform ADAS recalibration → mandatory disclaimer added to all ads: "ADAS recalibration required for camera-equipped vehicles. Ask us about certified recalibration or we can refer you to a dealer." No "complete service" or "we handle everything" language permitted.
Nevada Revised Statutes 686A.2825 explicitly prohibits auto glass shops from waiving, absorbing, rebating, or otherwise eliminating an insured's deductible as an inducement for business. Violations = insurance fraud exposure under NRS 686A.291, potential criminal referral to Nevada DOI. Active enforcement in Clark County — DOI has issued cease-and-desist letters and referred shops for criminal prosecution. Common violations: "No out-of-pocket," "We pay your deductible," "Deductible-free windshield," "Insurance covers 100%," "Come in, pay nothing." This skill generates zero deductible-waiver language. If shop is accustomed to using this as a marketing hook, the skill explains the legal exposure and provides compliant alternative messaging.
Gate: HARD BLOCK — no deductible waiver language in any output regardless of input. Replace with: "Most comprehensive insurance policies cover windshield replacement — check your coverage before you come in" + "We bill your insurance directly."
Auto glass installation is a licensed trade in Nevada. Nevada State Contractors Board (NSCB) License Class C-8 (Glass and Glazing) required for installation work. Operating without a license or advertising without disclosing license status = NRS 624 violation. Nevada NRS 598.0923 prohibits representing that services conform to standards they don't meet — directly applicable to AGSC, OEM, and ADAS claims. NRS 598.0915 prohibits knowingly making false claims about insurance coverage ("your insurance will definitely cover this"). Advertising compliance required: NSCB license number must be on all print/digital advertising over certain thresholds.
Gate: License number required in output template. If not provided, placeholder inserted with note that NRS 624 requires disclosure on advertising materials.
Federal Motor Vehicle Safety Standard 205 (Glazing Materials) requires auto glass meet minimum optical quality, impact resistance, and UV transmission standards — both OEM and qualifying aftermarket glass can be FMVSS 205-compliant. However: "OEM glass" specifically means glass manufactured by or for the original vehicle manufacturer (Pilkington, AGC, Fuyao OEM line, Saint-Gobain Sekurit). "OEM-equivalent" or "OEM-quality" or "meets OEM specs" is truthful for compliant aftermarket glass. Advertising "OEM glass" while installing aftermarket = federal false advertising claim under FTC Act Section 5. Insurance company billing for OEM when installing aftermarket = insurance fraud. This distinction matters: some shops use the term loosely; this skill enforces accuracy.
Gate: Input collects actual glass source (true OEM / OEM-equivalent aftermarket / standard aftermarket) and outputs matching truthful claim language only. Never upgrades "aftermarket" to "OEM" in copy.
Nevada law prohibits insurers from requiring policyholders to use specific repair shops — and prohibits kickback/referral arrangements between shops and insurance adjusters. "Insurance-preferred shop" without documented preferred provider agreement = deceptive. "Your insurance company sent us" without actual referral = false authority claim. "We work with all insurance companies" is truthful and permissible. Nevada DOI Insurance Division investigates anti-steering complaints. Additionally: representing that a specific insurer will cover a claim without verifying the specific policy = NRS 598.0915 deceptive representation. This skill does not generate any language implying shop has special insurer status it doesn't have.
Gate: No "preferred by [insurer]," no "your insurance company recommends," no guaranteed coverage statements. Replace with: "We work with all major insurers and bill directly" + "Coverage depends on your specific policy — we can help you check."
FTC's 2023 revised Endorsement Guides (16 CFR Part 255) require: (a) material connections disclosed — if shop offers discount for reviews, that's a material connection requiring disclosure; (b) typical results disclosure for any before/after or results-based claims; (c) no manufactured reviews. Auto glass specific: "guaranteed safe" or "100% safety guaranteed" without AGSC-certified installation + ADAS verification = unsubstantiated safety claim. "Best glass in Las Vegas" without objective ranking = puffery but "rated #1 by customers" without survey documentation = FTC violation. Review gating (only asking satisfied customers to review) = FTC 2023 violation.
Gate: No incentivized reviews without disclosure. No "100% safe" claims without certification backing. No rank claims without documentation. Review sequences ask all customers, not screened by satisfaction.
Generate a complete multi-channel customer acquisition campaign for an auto glass shop.
Input:
Output:
Generate a complete paid + organic digital presence for an auto glass shop.
Input:
Output:
Generate SEO-optimized service pages with technically accurate auto glass and ADAS language.
Input:
Output (per service):
Compliance:
Generate a complete review acquisition system and B2B fleet outreach program.
Input:
Output: