Grammarly is widely used in educational settings, and this clause defines the minimum age for compliant use; parents and educators should ensure that children under 13 are not creating individual Grammarly accounts without appropriate institutional safeguards.
The 13-year minimum age threshold is the COPPA boundary in the United States, and the parental consent requirement for minors under 18 creates compliance obligations for the platform regarding how it collects and handles data from teenage users.
This provision structures Patreon's compliance obligations under children's privacy regulations and establishes account eligibility criteria based on user age. It creates a consent requirement for minors as a condition of service access.
Minors using a mental health and meditation platform need clear protections; the terms create a framework but enforcement relies on users self-reporting age, and the platform's ability to verify parental consent is limited.
Tinder
· Tinder Privacy Policy
Age verification on online platforms remains technically challenging, and the policy relies on a 'knowingly' standard, meaning the practical protection for minors depends on the effectiveness of age verification mechanisms rather than an absolute technical bar.
This provision establishes an age-based eligibility requirement for service access, which is a standard contractual mechanism to enforce compliance with applicable laws governing services directed to minors and to establish the legal capacity of contracting parties.
This provision establishes OpenAI's age-based access structure and parental consent requirements, which define the eligible user population and establish the mechanism for compliance with children's online privacy regulations. It creates a procedural obligation for account holders to verify age eligibility and for parents to initiate removal requests for non-compliant accounts.
The 13-year minimum age is consistent with US COPPA thresholds but may not align with higher digital age of consent standards in other jurisdictions, such as 16 in some EU member states or 13 in the UK, potentially affecting compliance for underage users accessing this non-EEA product.
Fiverr
· Fiverr Terms of Service
The minimum age of 13 (rather than 18) means that teenagers between 13 and 17 may create accounts and engage in commercial transactions as sellers or buyers, which creates parental oversight considerations and potential regulatory obligations.
This provision implements compliance with the Children's Online Privacy Protection Act (COPPA) and establishes the operational threshold for account eligibility. The age verification requirement creates a contractual representation that Dropbox can enforce through account termination.
This provision implements compliance with the Children's Online Privacy Protection Act (COPPA) and similar child protection regulations by restricting service access to users 13 and older and establishing a deletion protocol for any minor data collected without proper parental authorization.
The age restriction defines the permitted user population for the service and establishes a baseline eligibility criterion for service access. This provision creates a contractual obligation on the platform to enforce age limits as a condition of service availability.
Asana
· Asana Terms of Service
This provision establishes age-based access controls and parental consent requirements to comply with child protection regulations, specifically the Children's Online Privacy Protection Act (COPPA) and similar age verification frameworks. It defines the operational scope of who may contract for and use the service.
Canva
· Canva Terms of Use
This provision implements compliance with the Children's Online Privacy Protection Act (COPPA), which requires services to obtain parental consent before collecting data from children under 13. The deletion mechanism establishes Canva's procedure for remedying unauthorized data collection from minors.
The provision creates three operational eligibility tiers based on age, with parental consent requirements for the 13-18 cohort. This establishes Pinterest's compliance framework with child protection regulations including the Children's Online Privacy Protection Act (COPPA) and similar age-gating requirements across jurisdictions.
This provision operationalizes compliance with the Children's Online Privacy Protection Act (COPPA) and establishes Coursera's procedural framework for age-gating access and managing data collection from minors. It defines the conditions under which personally identifiable information collection from children is permitted and the remedial steps Coursera will take upon discovering non-compliant collection.
Medium
· Medium Terms of Service
This provision establishes Medium's COPPA compliance posture, but enforcement relies on user reporting rather than active age verification, which may be a meaningful gap in practice.
Twitch
· Twitch Terms of Service
Parents whose children use Twitch are contractually agreeing to the Terms of Service on behalf of their minor child, making them potentially responsible for the child's conduct and any resulting liability on the platform.
This provision implements compliance obligations under the Children's Online Privacy Protection Act (COPPA) and establishes the service's age eligibility requirements. It defines the operational scope of Walmart's data collection practices with respect to minors.
Medium
· Medium Terms of Service
The age restriction operates as a foundational eligibility criterion for account creation and service use. The warranty mechanism creates contractual representations that users affirm their eligibility status at the point of service acceptance.
Noom
· Noom Terms of Service
The clause establishes an age gate that conditions service access on attestation of majority status and creates a procedural obligation for Noom to remove data collected from users under 13, aligning with regulatory requirements for child data protection.
This provision establishes the minimum age threshold and parental consent requirement, which carry significant compliance implications under COPPA in the US and equivalent child protection frameworks in other jurisdictions.
The provision creates a contractual eligibility threshold tied to legal capacity and establishes a supervisory framework for minor access. This structure allocates responsibility for account compliance to the adult account holder rather than Netflix directly monitoring minor usage.
This provision creates an age-based eligibility requirement for account formation and establishes a supervisory framework for minor access. It allocates responsibility for compliance with the age restriction to the account holder at registration.
Zoom
· Zoom Terms of Service
The agreement prohibits use by persons under 16, but does not describe affirmative age verification mechanisms, which may create compliance exposure under COPPA for users under 13 and under applicable state or international laws for users between 13 and 16.
This clause signals that Ticketmaster does not have COPPA-compliant parental consent mechanisms in place, and relies on users self-certifying their age, which may not adequately protect minors who access the platform.
Unity
· Unity Terms of Service
This provision establishes Unity's COPPA compliance posture, but relies on users self-certifying their age rather than active age verification, which is a common limitation in developer-tool contexts.
Suno
· Suno Terms of Service
These restrictions are legally required under U.S. federal law for platforms collecting data from children, and failing to comply could expose both minors and Suno to legal consequences.
This provision creates an age-based access restriction and establishes a parental deletion mechanism. It allocates responsibility to parents or guardians to initiate data removal requests when unauthorized child use occurs.
Age restrictions on AI generative content platforms are legally required in many jurisdictions, and violations can expose the platform to regulatory action while leaving underage users without appropriate protections.