The provision operationalizes a consent-based marketing communication system with an affirmative opt-out structure. The carve-out for non-marketing communications preserves Thomson Reuters' ability to transmit transactional and account-related messages independent of marketing preference settings.
This provision delineates the company's authority to conduct marketing outreach and specifies the procedural boundaries of user control over that outreach. The carve-out for administrative communications ensures uninterrupted delivery of transactional and compliance-related notices regardless of marketing preferences.
The policy states marketing communications are sent and that an opt-out mechanism is available, which is relevant to users who do not wish to receive promotional emails from Pinecone.
The clause establishes the operational framework for marketing communications and specifies the procedures by which users may decline receipt of promotional materials. This clarifies both the service's authorization to conduct marketing outreach and the administrative mechanisms for users to restrict such communications.
Zelle
· Zelle Privacy Policy
The clause establishes the procedural requirements and contact pathway for managing marketing communication preferences, defining how users exercise control over marketing outreach from Zelle.
Miro
· Miro Terms of Service
The Marketplace Terms of Use establish the contractual basis for third-party application distribution on the Miro platform, affecting both developers who publish apps and users who install them. Marketplace participants are subject to additional terms that may address revenue sharing, content standards, and data handling obligations.
Twitch
· Twitch Privacy Notice
If Twitch is acquired or merged, your personal data becomes an asset transferred to the new entity, which may operate under different privacy practices than those you originally agreed to.
EA
· EA Privacy and Cookie Policy
This clause establishes the operational framework under which personal data may be conveyed to a successor entity during corporate restructuring events. It clarifies that data transfers in these scenarios are permitted under the privacy policy rather than requiring separate user consent for each transaction.
Arlo
· Arlo Privacy Policy
The Bing Ads tag sends data about your behavior on Arlo's site to Microsoft, adding another advertising platform to the list of third parties receiving your browsing and purchase data.
Microsoft
· Microsoft Services Agreement (Legacy)
The provision establishes Microsoft's authorization to provide monitoring and control capabilities as part of the service offering, enabling family account administrators to exercise supervisory functions over linked child accounts within the service architecture.
Enterprise customers in regulated industries such as healthcare, financial services, and government need to verify that Azure holds the relevant compliance certifications (such as ISO 27001, SOC 2, FedRAMP, or HIPAA) before deploying regulated workloads.
Ring
· Ring Terms of Service
If a minor uses Ring services without proper parental consent, the parent or guardian may nonetheless be bound by the terms and held responsible for the minor's use, including any data collected from their use of Ring's platform.
The provision establishes LinkedIn's age-gating mechanism to ensure compliance with legal requirements governing the processing of personal data for minors. The clause conditions service access on age verification and real-name account registration, which supports the platform's identity and data governance framework.
Klarna
· Klarna Terms of Service
The minimum purchase requirement functions as an operational parameter that defines the scope of Klarna's service availability. It establishes clear eligibility criteria for which transactions can utilize the installment payment mechanism.
This provision establishes Smartsheet's compliance posture regarding children's privacy under applicable age-gating requirements. It defines the company's operational threshold for age-based data collection restrictions and establishes a remedial process for inadvertent collection from minors.
This provision establishes the age restriction applicable to the platform and the policy's scope with respect to minors, engaging COPPA obligations for users under 13 in the United States and analogous requirements under GDPR for users in the EEA.
The age threshold of 16 is higher than the 13-year COPPA threshold used by many US services, which may reflect GDPR Article 8 compliance for EU users, but the policy does not describe what age verification mechanisms are in place.
Employment platforms that collect detailed personal data, including resumes and application history, have heightened obligations under laws like COPPA in the U.S. and GDPR Article 8 in the EEA when minors may access the platform.
Zelle
· Zelle Privacy Policy
This provision establishes Zelle's COPPA compliance posture, but the 'do not knowingly' standard means that if a child under 13 visits the site, data may still be collected unless the site has active age-verification or screening mechanisms in place.
Zelle
· Zelle Privacy Policy
This provision establishes Zelle's operational position regarding Children's Online Privacy Protection Act (COPPA) compliance by declaring the service is not designed for the under-13 population and stating practices related to minor data collection and commercial use.
This provision gives minors a mechanism to retract publicly posted content, which is required under California law, but the caveat that removal is not comprehensive means third-party copies or cached versions may persist.
This provision establishes that metadata accuracy and completeness in model card YAML headers directly determines how a model is surfaced in Hub search and filtering, affecting discoverability and the accuracy of license and dataset attribution records visible to all downstream users and auditors.
A single disclaimer page deployed across dozens of jurisdictions may not satisfy all applicable local legal requirements for accuracy disclosures, consumer protection, or data privacy in each market.
Providing terms in local languages supports informed consent and is often required by local consumer protection or language laws in jurisdictions such as France, Quebec, and parts of Latin America.
Providing terms in local languages is relevant to whether consumers can be considered to have meaningfully consented to those terms, which affects enforceability in many jurisdictions.
SoFi
· SoFi Privacy Notice
The hub-and-spoke policy structure means that the applicable privacy terms for any given user depend on which SoFi products they use, and users of multiple products are subject to multiple overlapping policy documents with potentially different data collection, sharing, and retention terms.
This provision establishes a mutual confidentiality framework covering information exchanged between W&B and its customers, including customer-submitted technical configurations, model architectures, and business information. The reasonable care standard and the mutual structure are consistent with standard commercial SaaS practice.
This provision confirms Supabase's stated position that it does not sell personal data under Nevada's definition, which is reassuring for Nevada residents but does not address broader data sharing practices that may fall outside that legal definition.
Gemini
· Gemini User Agreement
The NMLS registration disclosure serves an operational governance function by making users aware of Gemini's regulatory licensing status and the compliance framework under which the entity operates. This disclosure establishes transparency regarding the regulatory oversight applied to the platform's money transmission or financial services activities.
This is a meaningful departure from the advertising-based business models of many competing platforms; however, users should note this is a policy commitment rather than a technical guarantee enforced by architecture.