Parents should actively supervise minors' accounts on Paramount+, as the terms require parental involvement for users under 16 and the platform collects personal information that may include data about minors.
Wyze
· Wyze Terms of Service
This provision establishes the minimum age policy and signals COPPA compliance intent, but does not describe any active age verification mechanism for account creation.
This provision operationalizes Duolingo's compliance with the Children's Online Privacy Protection Act (COPPA), which imposes specific requirements on online services regarding data collection from children under 13. The clause establishes the mechanism through which the company collects parental consent and documents the distinction between unauthorized child accounts and authorized accounts created through the designated parental account option.
This provision implements age-based access controls and establishes Anthropic's procedural obligations under children's privacy regulations, including COPPA compliance. It creates a categorized user framework based on age with corresponding consent and data collection requirements.
OpenAI
· OpenAI EU Terms of Use
This provision establishes OpenAI's eligibility framework and allocates responsibility for compliance with the Terms to parent or guardian entities when minors are involved. It creates a contractual representation requirement that transfers accountability for minor user behavior to the supervising adult.
This provision establishes Pinterest's stated COPPA compliance position; parents or guardians who discover a child under 13 has created an account should contact Pinterest to request account removal and data deletion.
Bumble
· Bumble Terms and Conditions
This provision establishes an 18-plus age requirement and asserts active monitoring for underage use, which engages COPPA obligations in the US for users under 13 and may also engage state-level minor protection laws. The document does not specify the technical mechanism used for underage monitoring.
Bumble
· Bumble Terms and Conditions
The age restriction and active monitoring for underage use engage COPPA and equivalent regulations, and the verification obligation creates data processing implications for users asked to confirm their age.
This provision establishes a jurisdiction-specific age gating requirement for EU, UK, and Australian users that goes beyond many platform age minimums, which are typically set at 13 or 16, and engages regulatory frameworks related to minor protection and age verification in those jurisdictions.
This provision is significant for parents because it establishes that a parent or guardian must agree to the terms for minors to use the services, and it triggers obligations under children's privacy laws including COPPA and EU equivalents.
Canva
· Canva Terms of Use
The agreement places responsibility on users to self-certify their age and on parents to supervise minor users, rather than implementing verified age-gating mechanisms; this structure may not satisfy COPPA's verifiable parental consent requirements if Canva knowingly collects personal information from children under 13.
This provision reflects compliance obligations under children's privacy regulations, particularly the Children's Online Privacy Protection Act (COPPA), which requires parental consent before collecting personal information from children under 13.
Poe
· Poe Terms of Service
The agreement states that users under 13 are not permitted and that teens between 13 and 18 require parental permission; these provisions have implications for COPPA compliance and the responsibilities of parents whose minors may use the platform.
If a minor uses the platform and generates or shares content, their account may be terminated and data deleted when discovered, which could result in loss of access and generated content.
Chegg
· Chegg Terms of Use
This provision is important for parents, as it indicates that Chegg's primary services are targeted at users 13 and older, and that parental consent obligations exist for certain uses by minors, though the verification mechanism is not detailed in the terms.
xAI
· xAI Terms of Service
The clause establishes a contractual gate for service access based on age and creates a parental consent requirement for the 13-17 user category, establishing xAI's operational framework for minor user eligibility and guardian accountability.
Replit
· Replit Terms of Service
The agreement restricts platform access for minors and places legal agreement responsibility on parents or guardians for users aged 13-17, which has implications for school and educational use of the platform.
The provision creates a regulatory compliance framework for child data protection under applicable laws governing personal information collection from minors. It establishes parental consent and oversight mechanisms as operational requirements for service access by users under 18.
The provision creates age-based eligibility criteria that Discord enforces through user attestation, establishing a contractual mechanism by which users confirm their age status and, where applicable, parental authorization as a condition of service access.
Pika
· Pika Terms of Service
The 13-year minimum age threshold means the platform may be used by teenagers, and parental consent obligations are stated but rely on user self-reporting with no described verification mechanism, which creates compliance exposure under COPPA.
This provision is designed to comply with COPPA, which restricts the collection of personal information from children under 13 without verifiable parental consent. Parents who discover a child has an account should contact Peacock to have it removed.
OpenAI
· OpenAI Business Terms
This provision establishes minimum age eligibility for all OpenAI services and imposes a parental consent requirement for minors between 13 and 17. The provision creates compliance obligations for operators deploying OpenAI services in contexts where minors may be users.
Waze
· Waze Privacy Policy
This provision asserts a broad carve-out from the policy's privacy protections for aggregated or de-identified data, and does not specify a standard for what constitutes adequate de-identification or describe safeguards against re-identification.
This provision creates a secondary use of platform-processed data beyond the primary service delivery purpose, and the adequacy of the de-identification standard applied is not specified in the document. Under GDPR and CCPA/CPRA, the sufficiency of de-identification or anonymization determinations affects whether data protection obligations continue to apply.
Microsoft
· Microsoft Privacy Statement (Legacy)
The statement authorizes use of user-generated content and AI interaction data for model training and improvement, which may affect users who share sensitive or confidential information through Copilot or other AI features in Microsoft products.
Strava
· Strava Privacy Policy
This clause authorizes use of sensitive data categories including health metrics and precise location for AI development, which is a broad permission that goes beyond basic service delivery and may not be fully intuitive to users who think of Strava as a workout tracker.
Your purchases, messages, viewing history, and other activity may be used to build and refine AI systems, and the policy does not specify limitations on how long or for what purposes this training data may be retained.
AI-driven matching means automated processing of your career data influences which jobs or candidates you are shown, with limited transparency about how those decisions are made.
Loom
· Loom Privacy Policy
Use of user-generated video and text content to train or improve AI systems is a significant and evolving area of privacy concern, particularly where the content includes sensitive business or personal communications.
Using AI features may result in your work data or personal information being used to train or improve AI models, which is a secondary use of data beyond the core service delivery purpose.