Found in 148 of 352 platforms tracked (42% adoption) · 371 provisions
This means AI21 Labs actively restricts Service access based on user location, and collects or infers location data to enforce those restrictions.
The qualifier 'knowingly' limits the scope of the commitment; it applies only to sharing AWS is aware of, not to inadvertent disclosures.
Default opt-in means users are subject to targeted advertising unless they take affirmative action to opt out, shifting the burden of choice onto the user.
Persistent device identification enables Anyscale to recognise and target returning users across visits based on a stored unique identifier.
Cross-site behavioural data collection enables both ad personalisation and frequency capping, meaning Anyscale can both target and regulate the advertising experience based on external browsing behav…
IP-address-based retargeting can associate individuals at the same network location with advertising audiences without their explicit identification.
This prohibition directly limits how ad networks and developers can monetize app audiences by restricting use of the most sensitive personal data categories for targeting.
Minors' location sharing is conditional on their own affirmative choice, establishing a consent-based default rather than automatic sharing.
Personal contact information provided to Calm may be hashed or converted and used to match and target users across third-party platforms for advertising purposes.
Users' banking relationship data — including transactional history and account types — is actively used to target advertising, meaning sensitive financial behavior informs ad delivery.
Interest profiles built from cross-site behavioral data are used for targeting, and third-party advertising partners — not solely Cohere — are involved in constructing and using those profiles.
Cursor's commitment not to sell, share, or process personal data for cross-contextual behavioral or targeted advertising forecloses data monetization practices that are regulated under US state priva…
The prohibition covers both intentional discriminatory use and use that produces a discriminatory or harmful effect, and it extends to predictions about characteristics—not only known ones—broadening…
This establishes a defined boundary separating DocuSign's customer-facing products from third-party advertising tracking, providing users of those products protection from advertising-related data ex…
Users below the applicable minimum age threshold are not permitted to use the service, establishing a legal eligibility floor that varies by residence.
The clause establishes that child users are shielded from both behavioral targeting and age-inappropriate advertising content.
This clause is consequential because it conditions access to paid features on physical location at the exact moment of use, not merely account registration location.
Third parties are actively permitted by Fireworks AI to conduct cross-time tracking of user behavior on its services, enabling interest-based advertising outside Fireworks AI's direct control.
General Motors commits to withholding minors' personal information from sale and from profiling or targeted advertising pipelines, applying a 'knows or should have known' standard that extends beyond…
The qualifier 'intentionally' means GitHub does not guarantee that no Personal Data from under-13 users is ever collected, only that it does not do so on purpose.
Ads personalization is turned off in contexts involving children and teens, limiting targeted advertising directed at those groups.
Grammarly acknowledges that its data disclosure practices may trigger legal protections under certain privacy laws, which could activate consent requirements or opt-out rights depending on applicable…
This restriction applies to all three categories—sales, sharing, and targeted advertising—for known minors, providing broad protection for that group's personal data.
The protection applies only where Groq has actual knowledge of a consumer's age; it does not extend to cases where Groq is unaware the consumer is under 16.
This clause establishes both an intended-audience restriction and a data collection prohibition with respect to children under 16, limiting Heap's permissible engagement with that age group.
Cross-device matching allows advertising partners to build a unified profile of a user's activity across multiple devices and browsers, extending tracking beyond any single device.
Cross-device and cross-site data combination allows advertising partners to build comprehensive behavioral profiles that extend well beyond any single interaction with Hilton's Services.
User data is shared with advertising partners who may use it to construct audience profiles modeled on individual users, meaning a user's characteristics can influence who else receives targeted adve…
The protection is limited to cases where Hugging Face has knowledge of a user's age; it does not constitute a guarantee that no such data is ever collected.
Khan Academy's belief that Students or Children are using the Service triggers active measures to prevent targeted advertising data collection for that group.
This establishes a categorical restriction preventing Kick from using the most sensitive personal data attributes to target users with personalized advertising.
This establishes both a design intent and a data collection restriction with respect to children under 13, which sets the basis for regulatory compliance expectations under child privacy laws.
Advertisers are prohibited from using sensitive personal data categories as targeting criteria, limiting the signals they may use to reach audiences on LinkedIn.
Loom commits to deleting personal information collected from children under 16 once discovered, establishing an age-based data deletion obligation triggered by Loom's awareness.
The policy establishes an intent-and-knowledge standard for non-collection from children under 16, which means inadvertent collection is not expressly ruled out, only intentional or knowing collectio…
This sets a minimum age threshold that legally bars children under 13 from using Medium's Services.
Advertisers in or targeting the US are denied commonly used targeting and audience-building tools for Special Ad Category campaigns, significantly restricting how they can define their ad audience.
Advertisers in or targeting these regions lose access to key demographic targeting tools, directly constraining how they can reach audiences.
This restriction limits Microsoft's behavioral advertising practices for a protected age group, but its scope is bounded by whether the user has a Microsoft account with a birthdate recorded.
This clause establishes a knowledge-qualified prohibition on collecting data from children under 13, which is the threshold set by COPPA and reflects a legal compliance baseline.
The 'knowingly' qualifier means Modal's commitment applies only to collection it is aware of, not to inadvertent collection.
The clause establishes a protective default setting for a specific age group, meaning users under 16 are shielded from interest-based advertising unless they affirmatively change that setting.
The clause establishes that children using Kids profiles are categorically excluded from Behavioral Advertising by Netflix, removing the need for an opt-out mechanism in that context.
The minimum age requirement sets a hard eligibility threshold that excludes minors from independently creating accounts or holding Extra Member status.
This establishes a protective restriction on Nintendo's data practices for child users, conditioned on the 'knowingly' standard and subject to legal exceptions.
This restricts OnlyFans from participating in cross-site or cross-business behavioural advertising ecosystems using users' personal data.
The protection is qualified by intent — inadvertent collection from underage users is not explicitly prohibited — and the age threshold differs by jurisdiction.
Oscar Health may share user activity data with advertising partners through targeting cookies, enabling interest-based advertising that relies on tracking user behavior.
This prohibition restricts users from deploying Perplexity AI's services in contexts directed at children under 13, reflecting heightened protections for that age group.
The policy sets a data collection floor at age 16 (with parental consent as the exception), which is higher than the federal COPPA threshold of 13, meaning more children receive this protection.
Ad customization draws on both Pinterest activity and external behavioral data sourced from ad partners and third parties, broadening the data inputs used to target each user.
This clause bars advertisers from building or using audience segments defined by these sensitive characteristics, limiting data-driven targeting strategies on Pinterest.
This clause categorically bars age-based targeting of minors, meaning advertisers must ensure their targeting configurations exclude users under 18.
This clause places specific targeting restrictions on credit advertisers beyond the general rules, limiting how they can reach or exclude audiences on Pinterest.
Express consent is required as a precondition for each individual End User before their data from Bank Intelligence products can be used for marketing, preventing broad or inferred consent.
The claim establishes an explicit age-based restriction on the intended audience for the Services, which has implications under children's privacy laws.
The prohibition establishes a hard minimum age threshold that excludes an entire class of potential users from the service.
This clause establishes a firm age threshold of 18 for personalized advertising, and conditions personalized ads for adults on consent where legally required, affecting how ad targeting applies acros…
Personal Information of all users under 18 is categorically excluded from disclosure for personalized advertising purposes, regardless of other data-sharing practices.
Users under 18 are excluded from personalized advertising regardless of any other account settings or features they may unlock at age 13.
Users under 18 are excluded from personalized advertising regardless of any other account settings or features they may enable.
The prohibition bars a broad category of child-directed content, limiting use of Runway for any product or creative work designed to appeal to users under 18.
The prohibition extends beyond explicit targeting of minors to include stylistic choices associated with children's content, broadening the scope of what is restricted.
Alcohol advertisers must account for the legal drinking age of each specific territory where their ad is served, not a single universal age threshold.
Advertisers targeting or appealing to children under 13 face outright rejection of their ads by Snapchat Ads, establishing a firm minimum-age threshold for ad audiences.
Spotify's ad-targeting practice extends beyond its own platform to incorporate user behavior from third-party websites and apps, broadening the data inputs used to profile users for advertising.
The automatic activation of tailored advertising at an age threshold means younger users transition from a protected default to targeted advertising without necessarily taking any affirmative action.
The default protection limits marketing partners' access to minors' personal data without affirmative action to change the setting, reducing minors' exposure to data-driven marketing practices.
The prohibition is absolute and applies to all of Stash's Services, meaning no minor may lawfully subscribe to any Stash offering.
The age restriction means users below the applicable minimum age are not permitted to use Strava's Services, and a higher age floor may apply depending on the user's location.
Users under 13 are contractually barred from the Service, establishing a baseline eligibility condition for access.
This establishes a formal limit on Supabase's data collection practices with respect to minors, which has legal significance under children's privacy laws.
Precise location data receives explicit protection requiring affirmative user consent before it can be shared for advertising purposes or sold.
Telegram imposes a higher minimum age in these specific jurisdictions than may apply elsewhere, restricting platform access for under-18s in those regions.
The existence of age-specific restrictions for under-18 users means advertisers must ensure their targeting and content comply with protections for minors.
Advertisers are subject to restrictions designed around teen safety and wellbeing, limiting what content or targeting may be used in relation to that population.
This establishes a specific restriction on real-time trip data use for ad targeting, which is a meaningful limit on how live user activity data can be exploited commercially.
This establishes a stated restriction on a particularly intrusive form of ad targeting, offering users a degree of assurance that sensitive personal attributes are not used for ad personalization.
The protection is framed as an absence of 'actual knowledge' rather than an affirmative prohibition, which is a narrower and legally distinct standard than a categorical ban.
Windsurf makes an explicit current and historical commitment against selling or sharing personal information for targeted advertising, which is a key consumer protection concern.
This provision restricts the use of sensitive data categories for ad targeting, which intersects with GDPR Article 9 special category data protections in the EU and similar frameworks in other jurisd…
Geographic and eligibility restrictions limit who may lawfully use the service, implying that non-U.S. users or ineligible U.S. users are excluded.
Cross-device linking extends ad targeting beyond a single device session, meaning a user's behavior on any linked device can influence advertising they receive on all other linked devices.
The opt-out right is conditioned on local law applicability, meaning it is not universally available to all users.
The existence of a dedicated Ad Choices site signals that users have some choices regarding targeted advertising, and that Max has identified a specific resource for learning about them.
TurboTax's use of interest-based advertising cookies means user behavior or profile data informs which ads are displayed to them.
Monitor emails you the same day a platform you choose changes these clauses.
A targeting and audience restrictions clause is a provision in a platform's terms of service or privacy policy governing targeting and audience restrictions-related rights, obligations, or restrictions.
ConductAtlas tracks 148 platforms with targeting and audience restrictions clauses - roughly 42% of platforms in the archive. 255 are classified as high severity.
Severity reflects the magnitude of rights waived, availability of opt-out, breadth of users affected, financial or legal exposure created, and the degree of discretion retained by the platform.