Baseten uses third-party companies to analyze how the service is used and may send you marketing emails, though you can unsubscribe from those emails using the link provided.
This analysis describes what Baseten's agreement states, permits, or reserves. It does not constitute a legal determination about enforceability. Regulatory applicability and practical outcomes may vary by jurisdiction, enforcement context, and individual circumstances. Read our methodology
The policy authorizes sharing of personal data with third-party analytics providers and use of personal data for marketing purposes; the specific third parties are identified separately in the Detailed Information section, which is relevant for assessing the scope of data flows.
Interpretive note: The specific third-party analytics and marketing vendors are referenced in a separate 'Detailed Information' section not fully visible in the provided document text; the completeness of those disclosures cannot be confirmed from available text.
Personal data including usage behavior may be shared with third-party analytics vendors; email marketing communications may be sent to your email address, with opt-out available via an unsubscribe link in each email.
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"We may use third-party Service providers to monitor and analyze the use of our Service. We may use Your Personal Data for marketing purposes. You can opt-out of receiving any, or all, of these communications from Us by following the unsubscribe link or instructions provided in any email We send.— Excerpt from Baseten's Baseten Privacy Policy
(1) REGULATORY LANDSCAPE: Sharing personal data with third-party analytics providers engages CCPA disclosure requirements regarding sharing for business purposes. Email marketing practices engage CAN-SPAM Act requirements for commercial email, including opt-out mechanisms. GDPR requires a lawful basis for processing personal data for marketing purposes, typically consent. (2) GOVERNANCE EXPOSURE: Medium. The policy identifies analytics and email marketing as uses of personal data but does not name all third-party providers in the main policy body; the adequacy of disclosure depends on whether the 'Detailed Information' section provides sufficient specificity to satisfy CCPA and GDPR disclosure obligations. (3) JURISDICTION FLAGS: EU/EEA users may require explicit consent for marketing communications and analytics tracking under GDPR and ePrivacy Directive requirements. California residents are entitled to know which third parties receive their personal information for business or commercial purposes under CCPA. (4) CONTRACT AND VENDOR IMPLICATIONS: Data processing agreements must be in place with all third-party analytics and marketing vendors receiving personal data. Procurement teams should verify that these vendors are named or identifiable and that contracts include appropriate data protection terms. (5) COMPLIANCE CONSIDERATIONS: Compliance teams should audit the unsubscribe mechanism to confirm it meets CAN-SPAM requirements and review whether analytics tracking tools require cookie consent mechanisms in jurisdictions where ePrivacy rules apply.
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The policy authorizes sharing of personal data with third-party analytics providers and use of personal data for marketing purposes; the specific third parties are identified separately in the Detailed Information section, which is relevant for assessing the scope of data flows.
Personal data including usage behavior may be shared with third-party analytics vendors; email marketing communications may be sent to your email address, with opt-out available via an unsubscribe link in each email.
No. ConductAtlas is an independent monitoring service. We are not affiliated with, endorsed by, or sponsored by Baseten.