Runway
· Runway Privacy Policy
Without access to the complete Children's Data section, the operational requirements regarding compliance with children's privacy regulations (such as COPPA in the United States) and any special handling procedures for data from users under 13 cannot be assessed.
This provision establishes Copy.ai's compliance framework with child protection regulations by defining the minimum age threshold for service eligibility and establishing a notification and deletion mechanism for inadvertent collection of underage user data.
The clause operationalizes compliance with children's privacy regulations by establishing an age-based data collection boundary and placing notice responsibility on the entity regarding age verification and parental consent mechanisms.
Square
· Square Privacy Notice
This provision establishes Square's operational posture regarding minor user data collection and establishes a data deletion obligation upon discovery of underage user information. The clause reflects Square's compliance framework for age-restricted data collection practices.
Uber
· Uber Privacy Notice
This provision establishes Uber's operational compliance framework with child protection requirements, defining the age restriction for service eligibility and creating a deletion obligation that responds to discovery of underage data collection.
This provision establishes TurboTax's compliance framework with the Children's Online Privacy Protection Act (COPPA), which restricts collection of personal information from children under 13 without verifiable parental consent. The provision clarifies the company's operational posture regarding children's data collection and its remedial obligations upon discovery of non-compliant collection.
Acorns
· Acorns Privacy Policy
The policy's acknowledgment that Acorns Early involves minor beneficiaries, alongside the general COPPA disclaimer, creates a compliance distinction requiring assessment of whether and what data is collected in connection with minor beneficiaries through that product and whether parental consent mechanisms satisfy COPPA's requirements.
Age verification practices for voice AI platforms are under increasing regulatory scrutiny, and a policy relying on 'knowing' collection without active verification may not fully satisfy COPPA obligations in practice.
Fiverr
· Fiverr Privacy Policy
This provision implements compliance with children's privacy protection regulations by establishing age restrictions on service access and requiring parental involvement for minors. It obligates the entity to delete personal information from users under 13 upon discovery.
This provision establishes ClickUp's compliance framework with the Children's Online Privacy Protection Act (COPPA) and similar age-restriction requirements by documenting the company's policy against directed collection from minors under 13 and its deletion protocol for inadvertently collected data.
Figma
· Figma Privacy Policy
This provision establishes Figma's compliance framework for children's data protection under laws including COPPA and GDPR, defining the age eligibility boundary for service use and limiting personal data collection from users below the specified thresholds.
Children's data provisions operationalize compliance with applicable legal requirements governing child data protection. These restrictions define the conditions under which the service may collect and process data from younger users and establish the consent mechanisms the entity employs to meet regulatory obligations.
Udemy
· Udemy Privacy Policy
This provision operationalizes compliance with the Children's Online Privacy Protection Act (COPPA), which restricts collection of personal information from children under 13 without parental consent. The clause establishes a mechanism for data removal upon discovery of underage user information.
The provision operationalizes age-based advertising differentiation, requiring notification when advertising status changes and providing a designated interface for preference modification. This establishes the procedural mechanism for transitioning users from restricted to standard advertising when age eligibility thresholds are met.
Eufy
· Eufy Privacy Policy
Smart home devices installed in family households routinely collect audio, video, and behavioral data from children, raising questions about whether Eufy's COPPA compliance extends to household data captured by devices beyond account-holder age restrictions.
This provision establishes COPPA compliance posture for US operations. The absence of described age verification mechanisms raises a practical question about how the under-13 restriction is enforced operationally, which is an active area of FTC scrutiny for online services.
Microsoft
· Microsoft Privacy Statement (Legacy)
This provision operationalizes Microsoft's compliance obligations under child protection regulations such as COPPA in the United States and equivalent laws in other jurisdictions. It establishes the procedural framework for verifying parental consent before data collection from minors and creates a mechanism for parental intervention when unauthorized data collection occurs.
Given that Xfinity provides household internet, cable, and home security services that are routinely used by all members of a household including children, the 'not directed to children under 13' statement warrants practical scrutiny.
Because airline travel legally requires collection of certain personal data for minors, including passport and identification information, children's data is routinely processed even where general COPPA-style restrictions would otherwise apply.
Hulu
· Hulu Privacy Policy
COPPA imposes strict federal requirements on how children's data is collected and used, and violations can result in significant FTC penalties; parents should verify that any Disney or Hulu accounts used by children under 13 are configured through a parent or guardian account.
Microsoft
· Microsoft Privacy Statement (Legacy)
The statement establishes that children under 13 are subject to parental consent requirements before data collection occurs, which is relevant to families using Microsoft products and to compliance with COPPA and comparable international children's privacy laws.
COPPA requires parental consent before collecting personal data from children under 13 in the U.S.; parents who discover their child has a Microsoft account or has used Microsoft services should act promptly to request data deletion.
Noom
· Noom Privacy Policy
This provision operationalizes Noom's compliance framework under the Children's Online Privacy Protection Act (COPPA) by establishing an age restriction on service access and a data deletion protocol. The clause creates a notification and remediation pathway that structures how the company responds to reports of potential age-restricted data collection.
Fitbit
· Fitbit Privacy Policy
The policy relies on a reactive approach to children's data rather than proactive age verification, meaning children under 13 may use the service and provide health data before the issue is identified and addressed.
This provision establishes the age gate for service access and defines the entity's compliance obligations under children's privacy regulations such as COPPA. It establishes the operational scope of data collection practices by excluding minors from the intended user population.
This provision reflects Luma AI's stated positioning regarding compliance with the Children's Online Privacy Protection Act (COPPA), which imposes specific requirements on operators of online services directed to children under 13. The clause establishes the service's intended user demographic.
This provision establishes Whatnot's compliance framework with the Children's Online Privacy Protection Act (COPPA), which prohibits collection of personal information from children under 13 without verifiable parental consent. The stated deletion process and contact procedure create operational procedures for addressing inadvertent collection.
Miro
· Miro Privacy Policy
This provision establishes Miro's operational compliance framework with children's data protection requirements. It documents the entity's age-gating policy and establishes a procedural obligation to remove children's data upon discovery, which affects how the service handles account registration and data retention practices.
The provision operationalizes Verizon's compliance obligations under children's privacy statutes (such as COPPA in the U.S.) by defining the boundaries of permissible data handling for the children's user segment. This establishes institutional limits on data collection scope and third-party sharing practices for that category.
Calm
· Calm Privacy Policy
This provision operationalizes compliance with state privacy statutes (such as CCPA and similar laws) that restrict sale and sharing of minors' personal information. It establishes a baseline data practice limitation that applies regardless of parental consent or user action.