The 16-year age threshold is consistent with CPRA requirements and several state privacy laws, though the US federal COPPA standard applies to children under 13 for certain online services.
RunPod
· RunPod Privacy Policy
This provision reflects RunPod's compliance framework with the Children's Online Privacy Protection Act (COPPA) and similar age-restriction requirements. It establishes the operational parameters under which RunPod collects and manages data from minors.
This provision establishes HubSpot's operational compliance framework regarding collection of data from minors under 16. The clause reflects regulatory requirements under children's privacy statutes and establishes the company's protocol for handling inadvertent collection of such data.
This provision reflects DocuSign's stated policy to restrict service access to adults, which establishes an age-based eligibility requirement and defines the company's position on minor data collection practices under applicable child privacy regulations.
This provision establishes the entity's operational position regarding children's data collection under applicable child privacy regulations. It creates a procedural obligation to identify and remove personal information from users under 16 upon discovery.
This establishes Copy.ai's COPPA compliance posture for the US, though the notice does not describe age verification mechanisms used to prevent under-13 access, which is relevant for regulators assessing actual compliance.
Federal law under COPPA prohibits collecting data from children under 13 without verifiable parental consent; if a minor accesses the platform, the policy's reliance on a 'knowingly' standard means accidental collection of children's data may not be caught proactively.
Upwork
· Upwork Privacy Policy
This provision establishes that Upwork relies on user self-certification of age rather than active age verification, which may leave a compliance gap under COPPA for younger teenagers if minors access the platform.
This provision establishes Mercury's compliance framework for children's privacy regulations, including the Children's Online Privacy Protection Act (COPPA). It defines the company's age restriction policy and outlines the operational procedure for responding to unauthorized collection of minors' data.
This provision operationalizes Coinbase's compliance posture under the Children's Online Privacy Protection Act (COPPA), which imposes obligations on service providers regarding data collection from minors. The clause establishes the entity's mechanism for addressing inadvertent collection of minors' data through a deletion protocol.
This provision operationalizes compliance with the Children's Online Privacy Protection Act (COPPA) and establishes the company's stated policy regarding collection practices for minors. It defines the age threshold at which the service provider treats individuals differently under its data collection framework.
Cohere
· Cohere Privacy Policy
This provision establishes compliance with the Children's Online Privacy Protection Act (COPPA) and similar child data protection regulations by implementing age-gating practices and data deletion procedures. It operationalizes Cohere's institutional responsibility to prevent the collection and retention of covered children's personal information.
This provision establishes operational compliance with children's privacy regulations by defining age restrictions on service eligibility and establishing notification and remediation procedures. The clause creates a procedural mechanism for identifying and addressing inadvertent collection of data from minors.
This provision establishes an age-based eligibility restriction for the service and creates a data collection boundary that aligns Wealthfront's practices with regulations governing the collection of children's personal information. The restriction defines the scope of the user base for which Wealthfront designs its data practices and service delivery.
This provision establishes Synthesia's compliance framework with children's privacy regulations, including COPPA in the United States and similar international standards. It creates an operational obligation for the company to implement age-gating mechanisms and to maintain deletion procedures for inadvertently collected child data.
Slack
· Slack Privacy Policy
This provision establishes Slack's age-gating requirements and creates a procedural channel for compliance with children's privacy regulations. The notification-based deletion mechanism establishes operational procedures for addressing inadvertent collection of data from users below the legal usage threshold.
This provision establishes a COPPA-aligned age restriction and deletion commitment for under-13 user data, which is a standard compliance baseline; however, the policy does not describe age verification mechanisms, which may be relevant to enforcement context.
This provision establishes the age threshold Jasper applies for child data restrictions at 16 rather than the COPPA threshold of 13, which creates a broader stated restriction aligned with GDPR's Article 8 requirements for children's consent in several EU member states.
The age restriction is set at 18 globally, which is higher than the COPPA threshold of 13 in the US, but the policy relies on a reactive rather than proactive age verification approach.
This provision operationalizes compliance with children's privacy regulations by establishing an age restriction on service eligibility and defining the company's data retention obligations if underage users are identified. It establishes a procedural mechanism for data deletion upon discovery of underage data collection.
Gemini
· Gemini Privacy Policy
The provision operationalizes an age-based service access restriction by conditioning continued use on implicit acceptance of the Privacy Policy's data handling framework. This establishes a procedural mechanism through which the entity enforces compliance with its stated data practices for underage users.
The 16-year age threshold exceeds COPPA's 13-year minimum, aligning with GDPR's default age of digital consent provisions in several EU member states, but the policy relies on a 'knowingly' standard that may be difficult to operationalize without age verification mechanisms.
Buy-now-pay-later services require users to be of legal age to enter financial agreements, and this section addresses what protections apply and what happens if a minor's data is inadvertently collected.
Gemini
· Gemini Privacy Policy
This provision establishes an age minimum and signals that Gemini does not intend to collect data from minors, which is consistent with COPPA requirements for online services directed at children or with actual knowledge of children's data.
Notion
· Notion Privacy Policy
The policy establishes a minimum age of 13 for use of Notion's services and commits to deleting data from under-13 users upon discovery, engaging COPPA obligations for US-based operators.
Chase
· Chase Privacy Notice
This provision establishes that Chase's digital platforms are not designed for children and signals COPPA compliance intent, which is a baseline regulatory requirement for U.S. online services.
The Children's Online Privacy Protection Act (COPPA) imposes strict requirements on the collection of personal information from children under 13, and a company's compliance with these standards directly affects child safety online.
Lyft
· Lyft Privacy Policy
A standard COPPA disclaimer, this provision establishes that Lyft does not have specific mechanisms to verify user age beyond a policy assertion, and the 'knowingly collect' standard is the minimum required by COPPA rather than a proactive age verification system.
Egnyte
· Egnyte Privacy Policy
This provision establishes Egnyte's compliance framework regarding the collection of personal information from minors under 16, establishing a procedural mechanism for parental notification and remediation through direct contact with the privacy team.
This provision establishes a COPPA-compliant framework for the primary digital services, but the pharmacy and health context presents a specific operational consideration: minors may be represented in prescription or family health account contexts, which may require additional protections beyond COPPA's baseline requirements.