What must Crave Cookies do with any benefit obtained from a person the franchisee does business with in Indiana?
Crave_Cookies Franchise · 2025 FDDAnswer from 2025 FDD Document
- (4) Allowing the franchisor to obtain money, goods, services, or any other benefit from any other person with whom the franchisee does business, on account of, or in relation to, the transaction between the franchisee and the other person, other than for compensation for services rendered by the franchisor, unless the benefit is promptly accounted for, and transmitted to the franchisee.
Source: Item 23 — RECEIPTS (FDD pages 47–194)
What This Means (2025 FDD)
According to the 2025 Crave Cookies Franchise Disclosure Document, a specific stipulation applies to franchisees operating in Indiana. If Crave Cookies receives any form of benefit (money, goods, services, etc.) from a third party that the franchisee interacts with, stemming from the franchisee's transactions, Crave Cookies is obligated to handle this benefit in a specific way. This does not include compensation for services rendered by Crave Cookies.
Specifically, Crave Cookies must promptly account for the benefit received. This means they need to document and provide a clear record of the benefit's nature and value.
Furthermore, Crave Cookies is required to transmit the benefit directly to the franchisee. This ensures that any financial advantages or other benefits derived from the franchisee's business relationships ultimately accrue to the franchisee, rather than being retained by Crave Cookies, maintaining transparency and fairness in the financial interactions between all parties involved. This requirement is designed to ensure fairness and prevent potential conflicts of interest.