Provision record
SoFi · SoFi Privacy Notice · View original document ↗

Interest-Based Advertising and Third-Party Tracking Technologies

High severity Medium confidence Explicitdocumentlanguage Common · 295 of 352 platforms
Get alerted the next time SoFi changes these terms. Follow SoFi →
Share 𝕏 Share in Share 🔒 PDF
Recent governance activity SoFi recorded 12 documented changes in the last 30 days.
Follow SoFi →
Monitor governance changes for SoFi Monitor emails you the same day this changes. The archive stays free.
Follow SoFi →

Get the weekly 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. No account.

Document Record

What it is

SoFi uses cookies, pixels, and third-party tracking technologies for interest-based advertising, and operates a consent management platform (OneTrust) that allows users to manage their cookie and tracking preferences.

This analysis describes what SoFi'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

ConductAtlas Analysis

Why it matters (compliance & governance perspective)

The use of third-party tracking technologies for behavioral advertising may constitute 'sharing' personal information under CCPA/CPRA, and the consent management implementation directly affects whether opt-out signals are properly recognized and applied.

Interpretive note: The consent-by-inaction mechanism is inferred from the JavaScript implementation visible in the page source; the written policy text governing this behavior was not fully reproduced in the provided HTML.

Recent Activity

This document changed recently

Medium Jun 12, 2026

The updated Privacy Notice explicitly discloses that SoFi collects user information through cookies, pixels, and other tracking technologies and shares this data with social media, advertising, and analytics partners. Previously, the policy described these practices in more general language. Under the revised terms, continued use of SoFi's website constitutes acceptance of these tracking and data-sharing practices unless the user actively makes selections in the Privacy Preference Center. You can use the preference center to opt out of optional tracking technologies, though strictly necessary cookies cannot be disabled.

View change record →
Medium Jun 2, 2026

The updated privacy notice explicitly discloses that SoFi uses pixels and tracking technologies to collect information about your actions and preferences, and shares this data with social media, advertising, and analytics partners. The revised consent interface distinguishes between strictly necessary cookies (which cannot be disabled) and optional cookies for performance and targeting purposes (which require affirmative consent). The terms state that if you do not make a selection, you agree to use of these technologies; you can opt out by toggling the button that appears to the right of each optional cookie category.

View change record →
Medium May 30, 2026

The updated terms establish a more permissive consent model for tracking technologies. Previously, the policy stated that users could 'choose not to allow some types of cookies' (opt-in structure). The revised language now states 'If you do not make a selection, you agree to our use of these technologies' (opt-out structure). This means that continued use of the website without affirmative rejection constitutes acceptance of cookies, pixels, and data sharing with advertising and analytics partners. The updated terms also explicitly disclose that SoFi shares collected information with 'social media, advertising, and analytics partners,' providing more specificity about data sharing destinations. You can decline the Privacy Preference Center or decline all optional tracking technologies through the updated preference settings.

View change record →

Clause Stability Stable

0
Changes
3
Months Monitored
May 12, 2026
First Seen
May 20, 2026
Last Seen
This clause type exists across 5261 other provisions on other platforms.

Change history

removed May 23, 2026

Removal of this high-severity provision addressing interest-based advertising eliminates explicit reference to third-party tracking technology disclosure, though OneTrust integration persists.

View full change record →
modified May 14, 2026

The automatic cookie opt-in mechanism based on passive behavior was replaced with a direct privacy options toggle function, and severity was upgraded to high.

View full change record →

Consumer impact (what this means for users)

SoFi's website uses tracking technologies including cookies and pixels that may share device identifiers and browsing activity with advertising partners. The OneTrust consent platform is used to manage these preferences, and the policy states that Global Privacy Control browser signals are recognized.

What you can do

⚠️ These actions may provide transparency or partial mitigation but may not fully address the underlying issue. Effectiveness varies by jurisdiction and individual circumstances.
  • Opt Out of Arbitration
    Click the 'Your privacy options' link on sofi.com/privacy-policies/ to open the OneTrust privacy preference center and reject non-essential cookies and tracking categories.

How other platforms handle this

GitHub Medium

If your browser sends a Do Not Track (DNT) signal, GitHub will not set non-essential cookies and will not load third party resources which set non-essential cookies.

Tinder Medium

If you choose to reveal any personal information about yourself to other users, you do so at your own risk. We strongly encourage you to use caution in disclosing any personal information online.

Skillshare Medium

When you are asked to provide information, you may decline to do so; but if you choose not to provide information that is necessary to provide some of our Services, you may not be able to use those Services.

See all platforms with this clause type →

Monitoring

SoFi has changed this document before.

Receive same-day alerts, structured change summaries, and monitoring for up to 20 platforms.

Follow SoFi → Or create a free account →
▸ View Original Clause Language DOCUMENT RECORD
"
function OptanonWrapper() { if (window.location.search.indexOf('privacy_options=true') !== -1) { window.OneTrust.ToggleInfoDisplay(); } }

Excerpt from SoFi's Privacy Notice

ConductAtlas Analysis

Institutional analysis (regulatory & governance intelligence)

1. REGULATORY LANDSCAPE: The use of tracking pixels and cookies for behavioral advertising engages CCPA/CPRA's definition of 'sharing' personal information for cross-context behavioral advertising, enforced by the California Privacy Protection Agency. The FTC Act applies to representations about opt-out effectiveness. State laws in Colorado, Connecticut, Virginia, and other states with comprehensive privacy laws may also require opt-out mechanisms for targeted advertising. The EU-US Data Privacy Framework reference suggests potential GDPR applicability for EU user data processed through these technologies. 2. GOVERNANCE EXPOSURE: High. The script on the page reveals that if a user does not interact with the cookie consent banner and navigates away from the page, the system is configured to automatically opt the user into all cookie categories (via OneTrust.AllowAll()), unless Global Privacy Control is enabled. This consent-by-inaction design may not satisfy affirmative consent requirements under GDPR or opt-in requirements under certain state privacy laws, and warrants review. 3. JURISDICTION FLAGS: California residents have a right to opt out of sharing for behavioral advertising and to have Global Privacy Control signals honored. EU/EEA users may require affirmative opt-in consent for non-essential cookies under ePrivacy Directive requirements. Colorado, Connecticut, and Virginia residents have similar opt-out rights for targeted advertising under their respective state privacy laws. 4. CONTRACT AND VENDOR IMPLICATIONS: Third-party advertising and analytics vendors receiving data through these tracking technologies must be assessed to confirm they qualify as service providers or contractors under CCPA, or that the data transfer is disclosed as a 'share.' Tag management through Google Tag Manager and mParticle integration observed in the page code should be evaluated for data minimization and purpose limitation compliance. 5. COMPLIANCE CONSIDERATIONS: The consent-by-inaction implementation (auto-accepting cookies on page navigation away without CTA interaction, absent GPC) should be reviewed against applicable state privacy law opt-out requirements. GPC signal recognition should be tested across all digital properties. Cookie audit and data flow mapping for all third-party tags loaded through GTM should be conducted and documented.

Full institutional analysis

Regulatory citations, enforcement risk, and due diligence action items.

Applicable agencies

  • FTC
    The FTC oversees unfair or deceptive practices related to online tracking and behavioral advertising disclosures.
    File a complaint →
  • State AG
    California and other state attorneys general enforce opt-out rights for targeted advertising under CCPA/CPRA and comparable state privacy laws.
    File a complaint →

Applicable regulations

CCPA/CPRA
California, USA
Connecticut Data Privacy Act Amendments
US-CT
CAN-SPAM
United States Federal
FCRA
United States Federal
FTC Act Section 5
United States Federal
GLBA
United States Federal
Indiana Consumer Data Protection Act
US-IN
Kentucky Consumer Data Protection Act
US-KY
TCPA
United States Federal
Universal Opt-Out Mechanism Expansion 2026
US

Provision details

Document information
Document
SoFi Privacy Notice
Entity
SoFi
Document last updated
March 14, 2026
Tracking information
First tracked
May 12, 2026
Last verified
May 12, 2026
Record ID
CA-P-011219
Document ID
CA-D-00104
Evidence Provenance
Source URL
Wayback Machine
Content hash (SHA-256)
d3f49f2973a13de5f5c7e501f59f3ada9950d43982fc50542e726068ca1003d9
Analysis generated
May 12, 2026 07:39 UTC
Methodology
Evidence
✓ Snapshot stored   ✓ Hash verified
Citation Record
Entity: SoFi
Document: SoFi Privacy Notice
Record ID: CA-P-011219
Captured: 2026-05-12 07:39:37 UTC
SHA-256: d3f49f2973a13de5…
URL: https://conductatlas.com/platform/sofi/sofi-privacy-notice/provision/CA-P-011219/interest-based-advertising-and-third-party-tracking-technologies/
Accessed: July 25, 2026
Permanent archival reference. Stable identifier suitable for legal filings, compliance documentation, and research citation.
Classification
Severity
High
Categories

Other risks in this policy

Related Analysis

Governance intelligence across arbitration, AI governance, data rights, indemnification, and retention

Provision-level monitoring, governance timelines, and regulatory mapping built from archived source documents and historical version tracking.

Frequently Asked Questions

What does SoFi's Interest-Based Advertising and Third-Party Tracking Technologies clause do?

The use of third-party tracking technologies for behavioral advertising may constitute 'sharing' personal information under CCPA/CPRA, and the consent management implementation directly affects whether opt-out signals are properly recognized and applied.

How does this clause affect you?

SoFi's website uses tracking technologies including cookies and pixels that may share device identifiers and browsing activity with advertising partners. The OneTrust consent platform is used to manage these preferences, and the policy states that Global Privacy Control browser signals are recognized.

How many platforms have this type of clause?

ConductAtlas has identified this type of provision across 295 platforms. See the full comparison.

Is ConductAtlas affiliated with SoFi?

No. ConductAtlas is an independent monitoring service. We are not affiliated with, endorsed by, or sponsored by SoFi.