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The policy states that material changes will be notified via the Services, and that continued use of the Services constitutes consent to the updated policy terms.
This analysis describes what Uniswap'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 conditions consent to policy changes on continued use of the Services following in-app notification, without specifying a minimum notice period before changes take effect or a separate affirmative consent mechanism for material changes.
Interpretive note: Whether continued-use consent to material policy changes satisfies GDPR consent requirements depends on the specific processing activities affected and applicable supervisory authority guidance.
Under this clause, continued use of Uniswap Labs services after notification of a material policy change constitutes consent to the updated terms. The policy does not specify a minimum notice period between notification and the effective date of material changes.
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"If we make material changes to this Policy, we will notify you via the Services. Nevertheless, your continued use of the Services reflects your periodic review of this Policy and other Company terms, and indicates your consent to them.Excerpt from Uniswap's Privacy Policy
1) REGULATORY LANDSCAPE: This provision engages GDPR requirements for valid consent, which under applicable supervisory authority guidance must be freely given, specific, informed, and unambiguous; implied consent via continued use may not meet this standard for certain processing activities. CCPA does not impose the same consent standard, though the FTC may assess whether the continued-use consent mechanism constitutes a deceptive practice where material changes are not clearly disclosed. 2) GOVERNANCE EXPOSURE: Medium. The adequacy of continued-use consent for material policy changes is contested under GDPR, particularly where the changes affect the lawful basis or scope of personal data processing. The absence of a specified notice period before changes take effect may compound this exposure. 3) JURISDICTION FLAGS: EU/EEA users face the highest exposure given GDPR's consent requirements. Supervisory authorities in multiple member states have indicated that implicit consent via continued service use is generally insufficient for GDPR purposes where consent is the relied-upon lawful basis. 4) CONTRACT AND VENDOR IMPLICATIONS: Organizations relying on Uniswap Labs services in B2B contexts should monitor for policy change notifications and assess the impact of material changes on their own data processing obligations and vendor agreements. 5) COMPLIANCE CONSIDERATIONS: Legal teams should assess whether the continued-use consent mechanism is consistent with GDPR consent requirements for applicable processing activities, and whether a separate affirmative consent or re-consent mechanism is warranted for material changes affecting EU users.
This provision conditions consent to policy changes on continued use of the Services following in-app notification, without specifying a minimum notice period before changes take effect or a separate affirmative consent mechanism for material changes.
Under this clause, continued use of Uniswap Labs services after notification of a material policy change constitutes consent to the updated terms. The policy does not specify a minimum notice period between notification and the effective date of material changes.
No. ConductAtlas is an independent monitoring service. We are not affiliated with, endorsed by, or sponsored by Uniswap.