This analysis describes what Synthesia'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
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you will not access or use our Services in any manner that would cause us or you to violate any U.S. or international embargoes, economic sanctions, or export controls laws or regulations.
You must comply with all domestic and international export laws and regulations that apply to the software and/or Services, which include restrictions on destinations, end users, and end use.
the Services may not be exported or re-exported (a) into any United States embargoed countries, or (b) to anyone on the U.S. Treasury Department's list of Specially Designated Nationals or the U.S. Department of Commerce's Denied Person's List...
"Using the Services to provide material support or resources...to any organization(s) designated by either the United States as a foreign terrorist organization...or by the United Kingdom or European Union...Excerpt from Synthesia's Acceptable Use Policy
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The clause states: “Using the Services to provide material support or resources...to any organization(s) designated by either the United States as a foreign terrorist organization...or by the United Kingdom or European Union...”
ConductAtlas has identified this type of provision across 182 platforms. See the full comparison.
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