Runway
· Runway Privacy Policy
This provision establishes Runway's compliance framework with the Children's Online Privacy Protection Act (COPPA) by defining the Service's intended user population and establishing data deletion procedures for inadvertently collected child data.
This provision establishes the company's compliance posture regarding children's data collection under applicable children's privacy regulations. It creates an operational obligation to monitor for and remove children's personal information upon discovery.
Gemini
· Gemini Privacy Policy
This provision establishes the service's operational scope regarding minor users and creates a data deletion obligation upon discovery of inadvertent collection from users under 18. The clause reflects the service's institutional policy regarding compliance with children's privacy regulations.
This provision engages COPPA obligations for US users; the policy does not describe age verification mechanisms, which is relevant given that voice cloning tools could be accessed by minors.
Medium
· Medium Privacy Policy
This provision establishes the entity's compliance framework with the Children's Online Privacy Protection Act (COPPA), which prohibits knowingly collecting personal data from children under 13 without verifiable parental consent. The clause sets operational procedures for data removal upon discovery of non-compliant collection.
This provision establishes Atlassian's operational compliance framework with age-based data collection restrictions under children's privacy regulations. It defines the company's procedure for responding to inadvertent collection of data from users below the specified age threshold.
This provision establishes Leonardo AI's stated COPPA compliance posture; the policy does not describe the technical or operational mechanism by which users under 13 are identified and excluded from the platform.
This provision places the full responsibility for child data protection compliance on the commercial Customer, including obtaining parental consents, which is a significant operational obligation for organizations whose customer base includes minors.
Cohere
· Cohere Privacy Policy
This provision establishes the service's compliance framework with the Children's Online Privacy Protection Act (COPPA) and similar regulatory requirements that restrict collection of personal data from children under 13. The clause creates an operational obligation for the entity to implement discovery and deletion procedures for inadvertently collected child data.
This provision operationalizes Wix's compliance framework with the Children's Online Privacy Protection Act (COPPA) and similar regulatory requirements by establishing notice of non-targeting, a consent prerequisite for lawful data collection from minors, and a deletion procedure upon discovery of non-compliant collection.
This provision establishes the platform's COPPA compliance framework, but parents or guardians who believe a child under 13 has used the platform should contact Skillshare directly to trigger deletion of the child's data.
This provision implements age-gating requirements under children's privacy regulations, particularly COPPA in the United States. The deletion obligation establishes a procedural response to unauthorized collection of minors' data.
This provision operationalizes compliance with the Children's Online Privacy Protection Act (COPPA) by establishing a collection baseline that requires parental consent for users under 13 and creating a remediation mechanism through deletion upon notice of unauthorized collection.
Age verification and children's data protection are active regulatory priorities in the US and internationally, and Bluesky's use of birth date collection and third-party verification services to gate access signals awareness of these obligations.
The presence of a children's personal information section indicates that Cash App's services are directed at or accessible to users who may be under 13, and the policy's treatment of this category determines whether COPPA compliance obligations are addressed.
The policy's inclusion of a dedicated section on children's personal information indicates that DoorDash has considered COPPA and analogous obligations, though the specific terms of that section are not fully reproduced in the available document text.
This provision establishes Audible's COPPA compliance posture and is operationally relevant because Audible offers content categories that may attract minor users. The FTC enforces COPPA and has pursued enforcement actions against digital platforms for failures in age verification and parental consent mechanisms.
Lime
· Lime Privacy Policy
The policy sets the age threshold at 18 rather than the COPPA standard of 13, which is a more protective approach for minors, but the enforcement mechanism relies on Lime discovering the collection rather than proactive age verification.
This provision establishes AWS's compliance framework with the Children's Online Privacy Protection Act (COPPA) and similar child privacy regulations by defining the service's intended user scope and specifying data handling procedures when child information is identified.
This provision operationalizes DoorDash's compliance framework under the Children's Online Privacy Protection Act (COPPA) by establishing collection limitations, a remediation process upon discovery, and a reporting channel. It reflects the company's data governance procedures regarding minors.
Hinge
· Hinge Privacy Policy
This provision establishes age-based eligibility requirements for account creation and establishes the operational framework under which the platform manages age-related compliance obligations. The reporting mechanism creates a procedural avenue for user participation in age verification enforcement.
The provision establishes Instacart's operational compliance framework under the Children's Online Privacy Protection Act (COPPA) and similar child privacy regulations. It defines the service's data collection boundaries for a protected user category and establishes parental consent mechanisms.
This provision establishes a COPPA-aligned age threshold, but relies on a reactive rather than proactive verification mechanism. The policy does not describe what age verification procedures are in place to prevent collection from users under 13 in the first instance.
The policy relies on a reactive rather than proactive approach to COPPA compliance, stating that Poe will delete data upon discovery rather than describing age verification mechanisms that would prevent collection in the first instance.
Fitness and calorie tracking apps can appeal to younger teenagers, and the policy's minimum age threshold and compliance with COPPA is important for parents and for regulatory compliance.
This provision establishes Walmart's stated approach to COPPA compliance, but the policy's in-store and loyalty program data collection practices may create scenarios where data about minors is collected incidentally through family accounts or in-store transactions, which warrants specific review.
Garmin
· Garmin Privacy Statement
Garmin sells products such as junior GPS watches and family tracking devices that may be used by children, creating a practical tension between the stated policy exclusion of under-13 users and the product reality; parents should be aware that COPPA protections apply but depend on Garmin becoming aware of a child's use.
Target
· Target Privacy Policy
This provision establishes Target's stated COPPA compliance posture; the 'not knowingly' standard is the operative COPPA threshold, and the absence of a described age verification or parental consent mechanism in the policy text means the practical implementation of this commitment is not detailed in the policy itself.
Figma
· Figma Privacy Policy
This provision reflects Figma's compliance posture regarding children's privacy regulations, which typically restrict collection of personal data from minors without parental consent. The clause establishes Figma's operational commitment to age-gating and responsive deletion procedures for inadvertent minor user data.
This provision establishes Verizon's operational compliance framework with the Children's Online Privacy Protection Act (COPPA), which requires parental notification and consent prior to collection of personal information from children under 13. The deletion requirement creates a remedial procedure when non-consensual collection occurs.