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.
The policy sets the minimum age at 16 rather than 13, which is more protective than the baseline US COPPA threshold and aligns with the GDPR's default age of consent for information society services in many EU member states.
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.
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.
The policy relies on a reactive rather than proactive age verification approach, meaning children's data may be collected before the company becomes aware of a violation, which is a common but operationally limited approach to COPPA compliance.
Medium
· Medium Privacy Policy
This provision establishes Medium's COPPA compliance posture, but the policy does not describe the verification mechanisms used to prevent collection of under-13 data, which is an operational detail relevant to COPPA enforcement by the FTC.
The under-16 threshold is higher than COPPA's 13-year minimum in the U.S. but the policy relies on a reactive deletion process rather than any age verification mechanism.
Auth0
· Auth0 Privacy Policy
The policy sets a minimum age of 16 rather than the COPPA threshold of 13 for US users, aligning more closely with GDPR Article 8 standards, but does not describe how under-16 users are actively identified or prevented from accessing services.
The age threshold is set at 16 rather than 13, which is more protective than the US federal minimum under COPPA, and aligns with GDPR Article 8 requirements for children's data in EU member states that have adopted the 16-year threshold.
This provision establishes that Supabase's services are not intended for minors and that the company does not knowingly collect data from children, which is the standard COPPA-compliant disclosure framework for developer-facing platforms.
This standard COPPA-aligned disclosure confirms TransUnion's services are adult-oriented, but the 'knowingly' qualifier means collection could occur if a minor misrepresents their age during account creation.
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.
Setting the age threshold at 16 rather than 13 exceeds the minimum COPPA requirement and aligns with GDPR's default age of digital consent, which provides broader protection but also means Peloton should verify ages where children's participation is possible.
This provision establishes the minimum age restriction for Betterment's services and confirms that any inadvertently collected data from minors will be deleted.
Noom
· Noom Privacy Policy
Given the health-focused and potentially sensitive nature of Noom's data collection, clear age restrictions and COPPA compliance are important protections for minors.
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.
Visa
· Visa Privacy Notice
This provision operationalizes Visa's compliance framework under the Children's Online Privacy Protection Act (COPPA) and establishes the company's procedural obligations regarding inadvertent collection of data from minors under 13. The clause documents the company's age-gating mechanism and remedial procedures for non-compliance scenarios.
Chime
· Chime Privacy Policy
This is a standard COPPA compliance statement; parents should be aware that Chime does not have mechanisms designed for minors and any account opened by someone under 13 would be subject to deletion.
Waze
· Waze Privacy Policy
This provision establishes Waze's compliance framework with the Children's Online Privacy Protection Act (COPPA) and similar child protection regulations by defining the service's intended user population and establishing procedures for handling inadvertent collection of child personal information.
This provision establishes the age eligibility framework for Atlassian's services and defines the conditions under which personal information collection from minors is permitted. It operationalizes compliance with children's privacy regulations by requiring parental consent as a prerequisite for processing data from users under 16.
If a minor uses Wix without parental knowledge, any data collected may be subject to enhanced deletion obligations, but the burden of identifying and reporting the account falls largely on the parent or guardian.
Ford
· Ford Privacy Policy
This provision establishes Ford's COPPA compliance posture by disclaiming intentional collection of personal information from children under 13 and committing to deletion if such data is inadvertently collected.
This provision establishes ElevenLabs' COPPA compliance posture for U.S. users. The absence of a higher age threshold (such as 16 for GDPR purposes) may be relevant for EU/EEA compliance where member states may set the digital age of consent between 13 and 16.
Family history and DNA services may appeal to younger users or be used with family involvement. Understanding the age restriction and parental consent requirements is important for families using these services.
Target
· Target Privacy Policy
COPPA requires verifiable parental consent before collecting personal information from children under 13; a retailer's general audience claim does not eliminate compliance obligations if children are actually using the service and providing personal data.
Zillow
· Zillow Privacy Notice
This provision establishes Zillow's stated compliance posture under COPPA, which governs online collection of personal information from children under 13 and is enforced by the FTC.
The policy establishes age 13 as the minimum age threshold and commits to deleting data collected from underage users without parental consent, consistent with COPPA requirements in the United States.
Ford
· Ford Privacy Policy
This establishes a baseline compliance posture under COPPA; however, Ford's connected vehicle data collection may indirectly capture information related to minors who are passengers or secondary drivers.
This provision establishes the entity's operational position regarding COPPA compliance and establishes an age-appropriate audience classification for the service. It clarifies the service's compliance framework by explicitly excluding child users from the intended user base.
Groq
· Groq Privacy Policy
Parents and guardians should be aware that Groq has no age verification mechanism described in this policy, relying instead on a reactive approach to removing children's data if notified.