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The policy states that Together AI will not use collected user data, including submitted prompts and content, to train its AI models unless the user has explicitly opted in; users may revoke this consent at any time and request deletion of collected data.
This analysis describes what Together AI'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 a consent-based restriction on a core commercial use of user-submitted data in AI development contexts. The opt-in framing represents a specific commitment that may require evaluation against operational data pipeline practices, particularly for third-party service providers receiving user data.
This provision establishes that user-submitted data will not be used for AI model training unless the user has affirmatively opted in. Users may revoke opt-in consent at any time by contacting privacy@together.ai or adjusting settings under Settings > Profile.
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"We do not use any data collected from you to train our models without your explicit opt-in and consent. You may revoke that consent at any time and request deletion of information we have collected.Excerpt from Together AI's Privacy Policy
(1) REGULATORY LANDSCAPE: This provision engages GDPR Article 6(1)(a) and Article 7 regarding consent as a lawful basis, requiring that consent be freely given, specific, informed, and unambiguous; the FTC Act Section 5 is also relevant to the extent the consent commitment constitutes a material representation about data use practices. The provision also engages CCPA consent principles for California residents. (2) GOVERNANCE EXPOSURE: Medium. The commitment not to use data for model training without explicit opt-in creates a material representation that requires operational controls to verify all data pipelines, including those operated by third-party service providers, honor this restriction consistently. Failure to enforce this commitment across all processing contexts could result in regulatory exposure under GDPR and CCPA. (3) JURISDICTION FLAGS: EEA, Swiss, and UK users have heightened exposure because GDPR imposes strict requirements on consent validity, including the right to withdraw without detriment and without retroactive effect on prior lawful processing. California residents retain CCPA rights to request disclosure of purposes for which their data was collected. (4) CONTRACT AND VENDOR IMPLICATIONS: Procurement teams should confirm that data processing agreements with Together AI's third-party service providers include restrictions consistent with this opt-in commitment, particularly for any vendors receiving raw prompt or content data. (5) COMPLIANCE CONSIDERATIONS: Compliance teams should audit whether the opt-in mechanism is implemented as a distinct, affirmative action separate from service acceptance, and whether consent records are maintained in a manner sufficient to demonstrate compliance under GDPR Article 7(1).
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This provision establishes a consent-based restriction on a core commercial use of user-submitted data in AI development contexts. The opt-in framing represents a specific commitment that may require evaluation against operational data pipeline practices, particularly for third-party service providers receiving user data.
This provision establishes that user-submitted data will not be used for AI model training unless the user has affirmatively opted in. Users may revoke opt-in consent at any time by contacting privacy@together.ai or adjusting settings under Settings > Profile.
No. ConductAtlas is an independent monitoring service. We are not affiliated with, endorsed by, or sponsored by Together AI.