The policy states that Webull does not respond to Do Not Track browser signals and authorizes third-party analytics providers to collect personal information about users' online activities over time and across different applications and websites.
This analysis describes what Webull'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 discloses that third parties may collect cross-site and cross-app behavioral data from Webull users, which may interact with CCPA and CPRA definitions of 'sharing' personal information for cross-context behavioral advertising purposes. Compliance teams should assess whether this third-party data collection constitutes a sale or sharing of personal information under applicable California law.
⚠ Third-party analytics providers may continue to collect cross-site and cross-app behavioral data as described in the policy
Cross-platform context
See how other platforms handle Do Not Track Signal Non-Response and Third-Party Cross-Site Tracking and similar clauses.
Compare across platforms →"We do not currently respond or take any action with respect to web browser "do not track" signals or other mechanisms that provide users the ability to exercise choice regarding the collection of personal information about that user's online activities over time and across third-party web sites or online services. We may allow third parties, such as companies that provide us with analytics tools, to collect personal information about your online activities over time and across different apps or web sites when you use our Services.Excerpt from Webull's Privacy Policy
(1) REGULATORY LANDSCAPE: This provision engages the CCPA and the California Privacy Rights Act (CPRA), which introduced specific rights regarding 'sharing' of personal information for cross-context behavioral advertising.
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This provision discloses that third parties may collect cross-site and cross-app behavioral data from Webull users, which may interact with CCPA and CPRA definitions of 'sharing' personal information for cross-context behavioral advertising purposes. Compliance teams should assess whether this third-party data collection constitutes a sale or sharing of personal information under applicable California law.
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