On April 21, 2026, Midjourney removed a navigational table of contents and a site-wide navigation menu from their Privacy Policy document. These sections listed document headings and links to other parts of Midjourney's website but contained no substantive privacy commitments. The removal appears to be a formatting or structural cleanup with no meaningful impact on users' privacy rights or protections.
Midjourney removed a table of contents and a large block of site navigation links from their Privacy Policy on April 21, 2026. These elements were structural or navigational and did not contain any privacy commitments, data rights, or protections. This change has no material effect on what data Midjourney collects, how it is used, or what rights users hold.
This change is purely structural and has no impact on users' privacy rights or how Midjourney handles personal data. Users do not need to take any action.
The navigational table of contents listing major policy sections was removed from the document on April 21, 2026.
An embedded site-wide navigation menu linking to Midjourney documentation, policies, and support pages was removed from the policy document.
ConductAtlas Policy Archive Entity: Midjourney | Document: Midjourney Privacy Policy | Record: CA-C-000582 Captured: 2026-04-21 06:06:50 UTC URL: https://conductatlas.com/change/2026-04-21-midjourney-midjourney-privacy-policy-582/ Accessed: May 2, 2026
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Midjourney removed 7 sentences from its Privacy Policy on April 21, 2026, consisting entirely of a table of contents and a site-wide navigation menu embedded in the document. No substantive privacy provisions, data processing descriptions, user rights, or legal commitments were altered. This does not touch GDPR transparency obligations, CCPA notice requirements, or any other regulatory framework in a material way. No compliance action is required.
Given that the removed content is limited to a navigational table of contents and a site navigation menu with no substantive privacy content, regulatory exposure is negligible. For completeness: Art. 13 and Art. 14 GDPR require privacy notices to be intelligible and easily accessible — removal of a table of contents could theoretically marginally reduce navigability, but the substantive content remains intact. Cal. Civ. Code §1798.100 et seq. (CCPA/CPRA) requires conspicuous disclosure of privacy practices, but no practice disclosures were removed. No enforcement actions or supervisory opinions are directly triggered by this structural change.
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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-000582.
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