This analysis describes what Cash App'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
This provision establishes Cash App's operational practice of integrating external data sources into its user profiling infrastructure. The clause clarifies that profile supplementation is not limited to first-party data collection but extends to information acquired from third-party data providers, which affects the comprehensiveness of behavioral profiles maintained about customers.
The updated policy establishes that children under 13 may use Cash App services if a parent or guardian signs up for or authorizes the account on their behalf. Previously, the policy explicitly prohibited any use by children under 13. The revised language clarifies that data deletion obligations apply when Cash App learns an account belongs to an unauthorized child under 13, but does not specify what happens to data from authorized child accounts or how parental oversight operates. A separate Privacy Notice for Children is referenced but not included in the change summary.
View change record →The revised policy shifts from prohibiting all children under 13 from using Cash App to permitting use when a parent or guardian explicitly authorizes or signs up for the service on the child's behalf. This creates a new lawful use path for families, but also establishes a distinction between authorized and unauthorized child accounts. The policy states that if a child under 13 operates an unauthorized account, Cash App will delete collected data upon discovery. Parents or guardians who authorize services should review the new Privacy Notice for Children for details on how child data is processed.
View change record →The updated terms state that children under 13 can no longer use Cash App, eliminating a path that previously existed for parents to authorize accounts on behalf of younger children. The revised language no longer references a separate Privacy Notice for Children, consolidating all child data handling disclosures into the main policy. If Cash App collects data and later learns it came from a child under 13, the policy requires deletion of that data, though the updated language broadens this obligation by removing the phrase 'for an unauthorized account', potentially extending deletion requirements beyond accounts that were never authorized.
View change record →Users operate under terms that permit Cash App to combine third-party data broker information with internally maintained profiles. The specific mechanism authorizes the incorporation of inferred characteristics and advertising segments from external sources into Cash App's customer data systems.
Cross-platform context
See how other platforms handle Third-Party Data Broker Profile Supplementation and similar clauses.
Compare across platforms →Monitoring
Cash App has changed this document before.
Receive same-day alerts, structured change summaries, and monitoring for up to 10 platforms.
"Third-Party Marketing and Advertising partners. Information about you may be collected from third party partners such as advertisers, data brokers, or advertising platforms. The information we receive from these sources may include inferred characteristics, advertising segments, interests, preferences, or other data used to enhance or supplement the profiles we maintain about our customers.— Excerpt from Cash App's Cash App Privacy Policy
Professional Governance Intelligence
Need to monitor specific governance provisions?
Professional includes provision-level monitoring, governance timelines, regulatory mapping, and audit-ready analysis.
Built from archived source documents, structured governance mappings, and historical version tracking.
This provision establishes Cash App's operational practice of integrating external data sources into its user profiling infrastructure. The clause clarifies that profile supplementation is not limited to first-party data collection but extends to information acquired from third-party data providers, which affects the comprehensiveness of behavioral profiles maintained about customers.
Users operate under terms that permit Cash App to combine third-party data broker information with internally maintained profiles. The specific mechanism authorizes the incorporation of inferred characteristics and advertising segments from external sources into Cash App's customer data systems.
No. ConductAtlas is an independent monitoring service. We are not affiliated with, endorsed by, or sponsored by Cash App.