Thought Leadership
Designing “Time-to-Human” for Compliance (and CSAT)
Oct 8, 2025
Even if bots deflect 80% of contacts, regulators and customers care about how quickly a human appears when things get hard. Proposed federal moves around contact center transparency (e.g., agent location disclosures) are reframing “good” support as human-accessible, auditable, and fair - not just automated.
What “time-to-human” means in practice:
A measurable SLA (e.g., ≤2 minutes chat, ≤4 hours email) for escalated issues.
A visible path in flows: “Need a person? Click/tap to reach an agent.”
Evidence packs: queue time stamps, escalation IDs, and QA outcomes tied to the ticket.
The FTC’s junk-fee rule adds pressure to resolve billing/transparency complaints quickly; prolonged ping-pong can look like unfair practice if customers can’t get a human to fix charges.
At the same time, privacy laws effective in 2025 (Delaware, New Jersey, and others) require clean, secure handoffs for data requests; misroutes or delays in human review can violate timelines.
Checklist:
Escalation ladders by issue type; define “human-only” categories (fraud, complex billing, medical/safety).
Staffing elasticity to meet spikes without over-hiring (per-ticket partners).
QA sign-offs + retention: sample sizes and auditability.
Language and location disclosures (if the 2025 bill advances).