A screening result answers a screening question. Keep it separate from the evidence your business uses to assess consent. Combining both into one unexplained status makes a later review harder.
Give Each Review Its Own Record
Store the input, the check time, and the returned result for screening. Keep the source and history of consent information in the record your policy requires. Connect the records through a stable identifier.
Define the Decision Owner
Your compliance team should define how those records inform the campaign decision. Operators need to know when to hold a record and where to send a question. The integration should make those states visible.
Read the DNCScrub overview for the role of screening tools. Review the wider contact policy with qualified counsel before launch.
This article is for general information only and is not legal advice. Consult a qualified attorney about your specific situation.


