The policy discloses that Figure AI collects sensory data including photos, videos, and recordings of users and their physical environments, used for providing and improving services and correspondence, and disclosed to service providers.
This analysis describes what Figure AI'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 authorizes collection of photos, videos, and environmental recordings, which may constitute biometric or sensitive data under frameworks including Illinois BIPA, Texas CUBI, or other state biometric laws not explicitly cited in the policy. The operational context of a humanoid robotics company makes this category particularly material for assessing regulatory exposure.
Interpretive note: Whether collected sensory data constitutes biometric identifiers subject to BIPA, CUBI, or other biometric frameworks depends on the specific nature of data collected and applicable statutory definitions, which the policy does not clarify.
The agreement authorizes collection of photos, videos, and recordings of users and their environments, shared with service providers for service provision and improvement purposes. Users subject to state biometric privacy laws may have additional rights or consent requirements that are not explicitly described in this policy.
Cross-platform context
See how other platforms handle Sensory Data Collection and similar clauses.
Compare across platforms →"Sensory Data such as photos, videos, or recordings of you and/or of your environment.Excerpt from Figure AI's Privacy Policy
1) REGULATORY LANDSCAPE: This provision may implicate Illinois BIPA, Texas CUBI, and Washington's biometric privacy frameworks depending on whether the sensory data collected constitutes biometric identifiers as defined under those statutes.
Enforcement risk, jurisdiction flags, contract triggers, and due diligence action items.
Search "[your state] attorney general consumer complaint" to find your state's direct complaint form
Get the research letter
Companies change their terms quietly. We read every version and catch what actually changed. One email a week on the changes that matter and what they mean.
This provision authorizes collection of photos, videos, and environmental recordings, which may constitute biometric or sensitive data under frameworks including Illinois BIPA, Texas CUBI, or other state biometric laws not explicitly cited in the policy. The operational context of a humanoid robotics company makes this category particularly material for assessing regulatory exposure.
The agreement authorizes collection of photos, videos, and recordings of users and their environments, shared with service providers for service provision and improvement purposes. Users subject to state biometric privacy laws may have additional rights or consent requirements that are not explicitly described in this policy.
No. ConductAtlas is an independent monitoring service. We are not affiliated with, endorsed by, or sponsored by Figure AI.