Following significant enforcement of automatic renewal laws in 2025, enrollment and cancellation of continuity programs are expected to remain a top priority for regulators and legislators in 2026.  While the Eighth Circuit’s vacating of the FTC’s recent Negative Option Rule brought great headlines, its impact was minimal given the continued legislative actions creating their own laws.  For example, California, New York, Massachusetts and Connecticut all passed laws enhancing their existing automatic renewal requirements, fostering a hodge podge of compliance …