Snap reserves the right to publish or share advertiser information including ad creative, targeting parameters, paying entity identity, contact information, and price paid with media partners and with third parties whose services the advertiser has elected to use.
This analysis describes what Snapchat Ads'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 that commercially sensitive campaign data including price paid and targeting configuration may be disclosed to third parties including media partners, beyond the scope of political ad transparency disclosures, as a condition of running ads on the platform.
Interpretive note: The scope of 'third parties whose products or services you've elected to use' is not exhaustively defined in this policy and may depend on definitions in the broader Snap Terms of Service.
Under this clause, advertisers using Snap's ad platform accept that their creative content, targeting details, paying entity information, contact details, and ad pricing may be shared with media partners associated with the content where the ad runs, and with any third-party services the advertiser has connected to their campaign.
Cross-platform context
See how other platforms handle Ad Information Disclosure to Third Parties and Media Partners and similar clauses.
Compare across platforms →"We may publish information related to ads (including the creative, targeting, paying entity, contact information, and the price paid for those ads), or share that information with third parties, including: (a) our media partners when your ads run in content related to that media partner; and (b) third parties whose products or services you've elected to use in connection with the ads.Excerpt from Snapchat Ads's Snapchat Advertising Policies
REGULATORY LANDSCAPE: The sharing of advertiser identifying information and pricing with third parties may engage general data protection principles under GDPR where the advertiser's contact information or paying entity details constitute personal data.
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This provision establishes that commercially sensitive campaign data including price paid and targeting configuration may be disclosed to third parties including media partners, beyond the scope of political ad transparency disclosures, as a condition of running ads on the platform.
Under this clause, advertisers using Snap's ad platform accept that their creative content, targeting details, paying entity information, contact details, and ad pricing may be shared with media partners associated with the content where the ad runs, and with any third-party services the advertiser has connected to their campaign.
No. ConductAtlas is an independent monitoring service. We are not affiliated with, endorsed by, or sponsored by Snapchat Ads.