Robinhood renamed and expanded its privacy policy on March 13, 2026, updating it from the 'Robinhood Financial Entities US Online Privacy Statement' to the 'Robinhood US User Privacy Statement.' The updated policy now covers a new social media product (Robinhood Social via Robinhood Tape, LLC) and adds new entities like Robinhood Ventures DE, LLC and Robinhood Ventures Fund I to the list of companies covered. This matters because more of your data — including activity on Robinhood's social product — is now governed under a single, expanded privacy framework.
Robinhood's privacy policy now covers a social media product and two new corporate entities, meaning a broader range of your personal data and online activity falls under this policy. Users of Robinhood Social should be aware that their data is subject to US state privacy laws rather than the stronger GLBA financial privacy protections.
Robinhood has expanded its privacy policy to include a new social media product (Robinhood Social) and additional corporate entities, meaning more of your personal data and online activity may now be collected and processed under this single policy. The policy also now references separate GLBA financial privacy notices for each individual entity, making it clearer which legal protections apply to your financial data. You can review the updated GLBA financial privacy notices linked in the policy for each Robinhood entity to understand exactly how your financial information is handled.
Robinhood restructured and expanded its US privacy policy effective March 18, 2026, renaming the document, adding Robinhood Tape, LLC (Robinhood Social) and Robinhood Ventures DE, LLC and Robinhood Ventures Fund I as covered entities, and explicitly scoping state consumer privacy laws to the social product. This change touches GLBA compliance (separate notices now enumerated per entity), US state privacy law applicability (e.g., CCPA/CPRA for Social users), and vendor relationship disclosures. Compliance teams with Robinhood in their vendor stack should verify whether updated DPAs or internal privacy notices are required to reflect the expanded entity scope and new social data processing activities. Action is recommended before the March 18, 2026 effective date.
1. Gramm-Leach-Bliley Act (GLBA), 15 U.S.C. §§ 6801–6809, and Regulation P (12 C.F.R. Part 1016): The policy now enumerates separate GLBA financial privacy notices for each entity including newly added Robinhood Ventures DE, LLC and Robinhood Ventures Fund I. Each entity must independently satisfy Regulation P notice and opt-out requirements.
Compliance intelligence locked
Obligation analysis, escalation trigger, board language, and recommended action.
Watcher: regulatory citations + obligations. Professional: full compliance memo.
ConductAtlas provides verified policy intelligence sourced directly from platform documents. All analysis is intended to support, not replace, legal and compliance review. Record CA-C-000020.
ConductAtlas Policy Archive Entity: Robinhood | Document: Robinhood Privacy Policy | Record: CA-C-000020 Captured: 2026-03-13 06:00:55 UTC URL: https://conductatlas.com/change/2026-03-13-robinhood-robinhood-privacy-policy-20/ Accessed: April 4, 2026
Robinhood updated their privacy policy on March 15, 2026, changing an internal reference number from 5297443 to 5302253. This appears …
Create a free account and add Robinhood to your watchlist. We'll email you the moment something changes.