Medical 34 networks active in this category · Updated September 2026 · A Blue Book PartnerIndex directory Medical networks NetworkVerticalsGeosModels MaxWeb Blue BookRanked BeautyCryptoeCommerce+4 Europe, Global, UK +1 CPA Join Overview | Brands | Affiliates Paysale AdultAI / AI ToolsApp Installs+15 Not stated CPL Join Overview | Brands | Affiliates Marketcall Blue BookRanked AutoDentalFinancial+11 Canada, USA Pay Per Call Join Overview | Brands | Affiliates vCommission AI / AI ToolsAutoBeauty+12 Not stated CPACPL Join Overview | Brands | Affiliates Shakes.pro eCommerceMedicalNutra Not stated CPA Join Overview | Brands | Affiliates dr.cash Blue BookRanked BeautyMedicalNutra+1 Asia, Europe, Global +1 CPA Join Overview | Brands | Affiliates The Affiliati Network Blue BookRanked BeautyEducationMedical+1 English Language, Global, USA CPACPL Join Overview | Brands | Affiliates RevenueAds Blue BookRanked AutoVideoCredit Repair+11 English Language, USA CPA Join Overview | Brands | Affiliates AffiliArt AdultVideoDating+11 Not stated CPACPL Join Overview | Brands | Affiliates CrakRevenue Blue BookRanked AdultAI / AI ToolsCBD+6 English Language, Europe, Global +1 CPACPLCPS+1 Join Overview | Brands | Affiliates Ray Advertising CC SubmitDatingCredit Repair+15 Not stated CPACPLPay Per Call Join Overview | Brands | Affiliates HyperTarget Marketing Blue BookRanked FinancialHome ServicesInsurance+2 USA Pay Per Call Join Overview | Brands | Affiliates RexConnects, by Rex Direct Net Blue BookRanked EducationFinancialInsurance+3 USA CPSPay Per Call Join Overview | Brands | Affiliates Dynu In Media Blue BookRanked eCommerceEducationFinancial+4 Asia, Global, Southeast Asia CPACPCCPI+3 Join Overview | Brands | Affiliates ClickBank Blue BookRanked BizOppEducationMedical+2 English Language, Global, USA CPACPSRevShare Join Overview | Brands | Affiliates Monetise VideoDatingEducation+10 Not stated CPACPL Join Overview | Brands | Affiliates Lead Smart Inc Blue BookRanked AutoDentaleCommerce+8 USA CPLPay Per Call Join Overview | Brands | Affiliates Guru Media BeautyBizOppCBD+9 Not stated Not stated Join Overview | Brands | Affiliates Smart Adv AdultBeautyCBD+9 Not stated CPACPL Join Overview | Brands | Affiliates CloudTraffic AutoBeautyCC Submit+19 Not stated CPACPICPL+1 Join Overview | Brands | Affiliates Gasmobi Blue BookRanked FinancialMedicalMobile+2 Europe, Global, Latin America CPACPL Join Overview | Brands | Affiliates Leadbit AdultFinancialGambling+4 Not stated CPA Join Overview | Brands | Affiliates Triad Media AdultApp InstallsAuto+25 Not stated CPACPL Join Overview | Brands | Affiliates KMA.BIZ AdultBeautyeCommerce+6 Not stated CPA Join Overview | Brands | Affiliates LinkConnector Blue BookRanked eCommerceMedicalNutra Global, USA CPSPay Per Call Join Overview | Brands | Affiliates Algo-Affiliates VideoCryptoDating+7 Not stated Not stated Join Overview | Brands | Affiliates DOPPCALL AutoCredit RepairDental+19 Not stated CPAPay Per Call Join Overview | Brands | Affiliates InterG Media Blue BookRanked Credit RepairHome ServicesInsurance+2 USA CPAPay Per Call Join Overview | Brands | Affiliates RingPartner Blue BookRanked FinancialHome ServicesInsurance+3 Canada, USA Pay Per Call Join Overview | Brands | Affiliates PointClickTrack AutoVideoDating+23 Not stated CPACPL Join Overview | Brands | Affiliates AdCombo Affiliate Network Blue BookRanked AdultVideoDating+3 Asia, Eastern Europe, Latin America +1 CPA Join Overview | Brands | Affiliates Everad Blue BookRanked BeautyMedicalNutra Asia, CIS, Europe +1 CPA Join Overview | Brands | Affiliates Show all 32 networks ↓ Show fewer ↑ This is a PartnerIndex directory: it lists the networks active in Medical, with featured partners shown first and the rest in rotating order. It is not a ranking. Maintained by the Blue Book editorial team. Run Medical offers? Get your network listed. Join the Network Partner Program to appear in this directory and the featured rotation. Become a partner Affiliate networks with medical offers cover patient acquisition across clinical trial recruitment, dental, addiction treatment, senior care, telehealth and general practice marketing. It is one of the largest categories in this directory and one of the least uniform, because the thing that governs it changes depending on which sub-vertical you are running. HIPAA governs what you may do with the data. The TCPA governs how you may phone the person. State licensing governs who may claim to treat them. The FTC governs what you may say the treatment does. A network can be genuinely excellent at one of those and in breach on another. That is the practical warning to carry into any conversation with a medical network. Competence here is not general. A network with a decade of clean dental lead generation has no particular standing to run addiction treatment traffic, and the regulator that would come after it for getting that wrong is a different one entirely. Payouts reflect the spread. A dental consultation lead runs $15 to $50 on standard CPL terms. A telehealth signup runs $25 to $100. A qualified addiction treatment call runs $50 to $250 or more on pay per call, because a residential admission is worth five figures to the facility and the conversation has to happen on the phone. Clinical trial recruitment is bought on cost per qualified referral rather than raw leads, because a referral who fails screening is worth nothing to the site. For Publishers and Affiliates HIPAA is a data problem before it is a paperwork problem, and the trap is the tracking pixel. The Privacy Rule requires individual authorization to use protected health information for marketing, and any vendor touching lead data needs a Business Associate Agreement. Meta and Google do not sign BAAs. HHS has been explicit that a user’s interaction with a healthcare page can itself constitute protected health information when it is transmitted to a third-party tracker, with no name and no diagnosis attached, and a standard pixel passing URL parameters is exactly that transmission. Cumulative pixel-tracking settlements passed $100 million through 2025. HHS takes the position that a conversion pixel firing on a page whose URL names the condition is itself an unauthorised disclosure, and the litigation has largely gone that way. Ask the network how its landing pages handle tracking, and treat a vague answer as a no. And HIPAA is probably not the law that binds you. HIPAA reaches covered entities and their business associates. An affiliate is usually neither, which is why so much health lead generation has been built as though the rules were somebody else’s problem. Washington’s My Health My Data Act closed that gap. It applies to any business handling consumer health data about a Washington resident, covered entity or not, and it defines that data broadly enough to include what a tracking pixel learns from a URL. It carries a private right of action with statutory damages up to $25,000 per violation plus costs, so it does not wait for a regulator. The cases are already running, including a February 2025 class action over an Amazon software kit and a November 2025 filing against a retailer whose pixels passed medical appointment details to Google. Other states have followed with comparable laws. If your health compliance thinking stops at HIPAA, you have checked the one statute that may not apply to you. The TCPA position changed in 2025 and a lot of published guidance is still wrong about it. The FCC’s one-to-one consent rule, which would have required separate consent for each company contacting a consumer, was vacated by the Eleventh Circuit in January 2025 and formally repealed that August. The standard is prior express written consent, as it was before. This is not the relief the lead-gen industry read it as. State telemarketing laws in Florida, Texas and Maryland are stricter than the federal rule, so consent language has to be built for the strictest state in your traffic. And where the offer is Medicare, CMS imposes its own one-to-one requirement on marketing organisations regardless of what the TCPA says. See Medicare and senior for that. Addiction treatment is where the enforcement actually is, and it reaches the traffic source. The FTC has the Opioid Addiction Recovery Fraud Prevention Act as well as the FTC Act, and it has used both. Evoke Wellness paid $1.9 million in 2025 over a campaign that ran 68,510 Google search ads impersonating other clinics, so that callers believed they had reached the facility they searched for. In June the FTC filed against Mercury Marketing, which had spent $18 million on Google Ads bearing competitor clinic names and routed roughly 29,000 calls through its own call centres. If a network offers you rehab creatives built on competitor brand terms, the case law on that is now settled and expensive. Clinical trial recruitment runs on a different rulebook and most affiliates get this wrong. The FDA treats recruitment advertising as the beginning of informed consent, which means an institutional review board has to approve the material before it runs. That covers flyers, social posts, email and SMS scripts, phone scripts and landing page copy, not just the ad. The one narrow exception is a bare listing of study title, purpose, eligibility summary, location and contact. Under FDA guidance the creative is not yours to write, and a network that hands you unrestricted copy for a recruitment campaign is either working from IRB-approved assets it has not shown you, or it is creating a problem for the site it is recruiting for. Lead quality standards differ by sub-vertical in ways that change your effective payout. Dental and telehealth reject on geography and insurance status. Addiction treatment rejects on insurance verification, which is the single largest filter in that vertical and one most affiliates do not price in. Clinical trials reject on screening criteria that can run to twenty conditions. Get the rejection reason codes before you commit traffic, not the headline payout, and calculate from what survives. Related categories worth knowing before you pick a network. Coverage checks in dental, rehab and Medicare all run through carriers, so insurance networks overlap this one heavily. GLP-1 and telehealth programmes sit on the boundary with weight loss and diet, which carries its own FTC history worth reading before you run that traffic. And medical device and drug injury campaigns are bought as legal services offers rather than medical ones, despite reaching the same audience through the same channels. For Brands and Advertisers Your affiliates’ conduct is your exposure, and the FTC has said so plainly. In the addiction treatment cases the agency’s position is that ignorance of a vendor’s tactics is not a defence. If you buy leads through a network, and an affiliate inside that network runs ads impersonating your competitors, the enforcement risk lands on you as the treatment provider as well as on them. Your network agreement needs pre-approval of creative, a prohibition on competitor brand bidding stated explicitly rather than assumed, and a right to see the actual ads running against your offer. Decide what you are buying before you write the payout. A “lead” in dental is a person who wants a consultation. A “lead” in addiction treatment is a person in crisis whose insurance will cover residential care. Those are not the same object and they cannot be bought on the same terms. The affiliate base optimises to whatever definition you set, so a loose definition in a high-value sub-vertical produces exactly the volume you asked for and none of the admissions you needed. Build the HIPAA perimeter into the contract, not into a policy document. Every party touching lead data needs a Business Associate Agreement: the network, the call centre, the CRM, the call tracking vendor. The gap is usually the one nobody thinks of, which is analytics. If your network cannot tell you which of its subcontractors hold a BAA with it, you do not have a perimeter, you have a hope. Speed to contact matters more here than almost anywhere, and for a reason that is not commercial. Somebody who has just filled in a form about treatment has made a decision that may not survive the afternoon. In dental or telehealth a slow callback costs you a booking. In behavioural health it costs the person. Real-time delivery and a staffed phone are not optimisation, they are the minimum standard of care for running this traffic at all. Vet the network’s own sub-vertical competence rather than its size. Ask which sub-verticals it has run for more than a year, which it has walked away from, and what happened. A network that has never declined a healthcare offer is telling you it does not evaluate them. Given that this is a category where the FTC, the FDA, HHS, the FCC and fifty state licensing boards all have a view, a network with no history of saying no is the wrong partner. The Blue Book PartnerIndex directory below lists networks active in the medical and healthcare vertical, with ratings and compliance data to support your evaluation. Frequently Asked Questions About Medical Affiliate Networks What do medical leads actually pay? It depends entirely on the sub-vertical, and the spread is wider than in most categories. Dental consultation leads run $15 to $50. Telehealth signups run $25 to $100. Qualified addiction treatment calls run $50 to $250 or more, because a residential admission is worth five figures to the facility. Clinical trial recruitment is usually bought on cost per qualified referral rather than per lead, since a referral who fails screening has no value to the site. Can I run medical offers through Meta or Google? You can advertise, but you cannot let patient data reach them. Neither platform signs Business Associate Agreements, and HHS treats a user’s interaction with a healthcare page as protected health information once it is passed to a third-party tracker, even with no name or diagnosis attached. A conversion pixel firing on a URL that names the condition is a disclosure. Strip identifying and condition data before it leaves your funnel, and check what the network’s own landing pages are firing. Did the one-to-one consent rule change how I collect consent for medical leads? Not in the way most guidance still says. The FCC rule was vacated in January 2025 and repealed that August, so the federal standard is prior express written consent as it was before. What actually binds you is stricter than the federal floor in two places: several states, notably Florida, Texas and Maryland, and CMS, which imposes its own one-to-one requirement on Medicare marketing organisations independently of the TCPA. Why is addiction treatment traffic treated differently from the rest of the category? Because the FTC has a purpose-built statute for it, the Opioid Addiction Recovery Fraud Prevention Act, and it has used it. Evoke Wellness paid $1.9 million over a campaign of 68,510 search ads impersonating rival clinics, and the FTC has since filed against Mercury Marketing over $18 million of ads bearing competitor names. Ignorance of what a vendor was doing is not a defence, so the exposure runs up the chain to the advertiser. Can I write my own creative for clinical trial offers? No. The FDA treats recruitment advertising as the start of the informed consent process, so an institutional review board has to approve the material before it runs, covering scripts, social copy and landing pages rather than just the ad unit. The only exception is a bare listing of the study title, purpose, eligibility summary, location and contact details. If a network gives you free rein on trial creative, ask to see the IRB approval, because either it exists and you should be working from it or it does not and you are the one running unapproved material. Disclaimer: The information provided in this guide is intended solely as an educational starting point for further independent research and does not constitute legal, regulatory, or financial advice. Advertising rules, statutory requirements, and regulatory enforcement priorities change frequently. Readers should not rely on this content as a substitute for professional legal counsel or formal compliance audits. Publishers and advertisers are responsible for independently verifying all compliance requirements applicable to their specific offers, geographies, and promotional methods. Last reviewed September 2026.