Databricks updated their Databricks Privacy Notice on June 10, 2026. Change detected: 1 sentence(s) modified. Document contained 110 sentences after update.
Impact assessment pending documentation review.
Institutional analysis pending. This change has been verified and documented.
This change record describes what was added, removed, or modified in the document. Analysis reflects what the updated agreement states or permits. It does not constitute a legal determination about enforceability. Applicability may vary by jurisdiction. Methodology
Explicitly discloses the collection and use of sophisticated profiling inferences derived from personal data, which was previously only obliquely referenced in behavioral advertising disclosures.
Provides transparency about routine sharing with service providers performing standard business functions, distinguishing this from advertising/analytics partner sharing.
New provision establishing notification procedures for material privacy policy changes, providing users with awareness mechanisms when updates occur.
Removal of explicit GDPR legal basis disclosure (legitimate interests) weakens transparency about the lawful grounds for processing under GDPR, potentially limiting user understanding of their protections.
Removal of the M&A data transfer provision eliminates disclosure about how personal data may be handled in business transactions, potentially leaving users unaware of data sharing in acquisition scenarios.
Simplified and streamlined the explanation of processor/controller distinction, removing the guidance to contact customers and focusing on the governing agreements (DPA added explicitly).
Replaced explicit mention of CCPA/CPRA compliance language and opt-out rights with more specific categorization of data types shared for behavioral advertising, removing state-specific legal framework references.
Expanded rights enumeration to include opt-out of sale/sharing, targeted advertising, and automated decision-making/profiling, while removing the specific instruction to contact privacy@databricks.com and use the privacy portal.
Added specific examples of collected data (IP address, browser type, OS, referral URL, email interaction data) while removing language about cookie preference center and user control mechanisms.
Restructured for clarity by separating general transfer statement from specific EEA/UK/Switzerland protections; simplified language and removed incomplete sentence about 'approved by the'.
Removed detailed explanation of retention period determination factors and added specific use cases (legal claim defense and fraud prevention) while shortening overall provision.
Removed the instruction for users to report children's data submissions to privacy@databricks.com, consolidating the provision.
1 provision unchanged.
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