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The policy explicitly states that Ideogram does not sell or share personal information as those terms are defined under the CCPA, and has not done so in the preceding 12 months, including with respect to residents under 16 years of age.
This analysis describes what Ideogram'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 Ideogram's CCPA compliance posture with respect to data sale and sharing, which has direct implications for California residents' rights and for the company's obligations regarding opt-out mechanisms and consent requirements under that statute.
The updated policy now provides explicit disclosure of which categories of personal information are collected and which parties receive each category. Previously, the policy required readers to consult other sections to identify this information. The updated table format discloses that identifiers such as name and email address, visual information including uploaded images, and geolocation data may be shared with other users, vendors, service providers, login integration partners, social media widgets, and affiliates. This change provides clearer visibility into data sharing practices without altering what data is collected or shared, but rather how that information is disclosed.
View change record →The updated policy no longer provides a single consolidated view of which specific categories of recipients receive which types of personal data. Previously, users could see in one table that identifiers, commercial information, geolocation data, images, account credentials, and precise location were shared with specific recipient categories such as vendors, service providers, other users, login partners, social media widgets, and tracking technology providers. The revised policy instead directs users to review other sections of the document to find this information. The specificity and accessibility of this disclosure has been reduced, though the underlying data-sharing practices may remain unchanged.
View change record →Under this provision, California residents are informed that their personal information is not sold or shared as defined under the CCPA, meaning a CCPA-based opt-out of sale or sharing is not applicable to Ideogram's current stated practices. The provision is grounded in the CCPA's specific definitions of sale and sharing, which may differ from the colloquial meaning of those terms.
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"We do not 'sell' or 'share' (as those terms are defined under the CCPA) personal information, nor have we done so in the preceding 12 months. Further, we do not have actual knowledge that we sell or share personal information of residents under 16 years of age.Excerpt from Ideogram's Privacy Policy
1) REGULATORY LANDSCAPE: This provision directly engages the California Consumer Privacy Act as amended by CPRA, specifically the definitions of sale and sharing under that statute. The California Attorney General and California Privacy Protection Agency are the relevant enforcement authorities. The provision also references awareness of the under-16 opt-in consent requirement under CCPA Section 1798.120. 2) GOVERNANCE EXPOSURE: Low, based on the declaration as stated. However, if Ideogram's disclosure of data to third-party analytics providers, Tracking Technology vendors, or social media widget operators were determined by regulators to constitute sharing under CCPA, this declaration would create heightened exposure. The CPPA has applied a broad interpretation of sharing in recent enforcement contexts. 3) JURISDICTION FLAGS: California is the primary jurisdiction. Colorado, Connecticut, Virginia, and other states with similar privacy laws may have analogous opt-out requirements that this provision does not separately address. 4) CONTRACT AND VENDOR IMPLICATIONS: This declaration may reduce the scope of CCPA-related contractual obligations for enterprise customers who are concerned about downstream sale or sharing of their users' data through Ideogram's platform. However, institutional customers should independently verify this posture given the breadth of Ideogram's third-party disclosures described elsewhere in the policy. 5) COMPLIANCE CONSIDERATIONS: Compliance teams should evaluate whether Ideogram's disclosure of data to third-party Tracking Technology providers and analytics vendors is consistent with the no-sharing declaration, and should monitor for any changes to Ideogram's data practices that could alter this posture.
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This provision establishes Ideogram's CCPA compliance posture with respect to data sale and sharing, which has direct implications for California residents' rights and for the company's obligations regarding opt-out mechanisms and consent requirements under that statute.
Under this provision, California residents are informed that their personal information is not sold or shared as defined under the CCPA, meaning a CCPA-based opt-out of sale or sharing is not applicable to Ideogram's current stated practices. The provision is grounded in the CCPA's specific definitions of sale and sharing, which may differ from the colloquial meaning of those terms.
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