Ticketmaster may contact you about upcoming events and offers via email, SMS, push notifications, and social media, subject to your preferences, which you can update at any time.
This analysis describes what Ticketmaster'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 clause establishes the operational scope and channels through which the entity may conduct marketing communications. The provision includes a mechanism for users to adjust their communication preferences, which defines the administrative process for managing the frequency and channels of such outreach.
The updated policy establishes that Ticketmaster may collect biometric information in limited circumstances where necessary for service delivery or required by law, with additional safeguards and advance notice. The policy now discloses that event photography and video may be captured and used in marketing materials, with a stated right to object where Ticketmaster controls the filming. Communications may now occur through messaging services in addition to existing channels. These disclosures inform you of practices Ticketmaster may engage in, but operational impact depends on whether and how these practices are implemented in your jurisdiction or event context.
View change record →You may receive marketing across email, SMS, push notifications, and social media unless you actively manage each preference separately in your account settings.
How other platforms handle this
Send You Promotional and Marketing Materials Consent (where required by law) Legitimate Interests when consent is not required by law (specifically our interests in marketing features and products that may interest you...)
In some cases we will seek your consent to send you marketing communications.
We may use your Personal Data to send you information about the services provided by the ZipRecruiter Group; provided, however that we will obtain consent to do so where required by applicable law.
"To contact you with information or offers regarding upcoming events, products or services via email, push and web notifications, SMS, or social media platforms. You can change your marketing preferences at any time.Excerpt from Ticketmaster's Privacy Policy
Multi-channel marketing communications implicate CAN-SPAM, TCPA (SMS), and GDPR/PECR consent requirements; compliance teams should verify that consent mechanisms and opt-out processes meet channel-specific regulatory standards across all operating jurisdictions.
Enforcement risk, jurisdiction flags, contract triggers, and due diligence action items.
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This clause establishes the operational scope and channels through which the entity may conduct marketing communications. The provision includes a mechanism for users to adjust their communication preferences, which defines the administrative process for managing the frequency and channels of such outreach.
You may receive marketing across email, SMS, push notifications, and social media unless you actively manage each preference separately in your account settings.
ConductAtlas has identified this type of provision across 278 platforms. See the full comparison.
No. ConductAtlas is an independent monitoring service. We are not affiliated with, endorsed by, or sponsored by Ticketmaster.