Lime
· Lime Privacy Policy
This provision establishes the entity's compliance framework for children's privacy regulations, including the Children's Online Privacy Protection Act (COPPA). It defines the age restriction that determines applicability of the service and establishes a remedial procedure for inadvertent collection of minors' data.
This provision operationalizes compliance with the Children's Online Privacy Protection Act (COPPA) and establishes the service's age-gating framework. It creates an affirmative obligation to delete identified child data rather than retain it.
Given that Headspace handles sensitive mental health data, the age restriction and COPPA compliance commitment is an important protection, though users between 13 and 17 may still use the platform with their data subject to the general policy terms rather than additional parental consent protections.
Setting the age threshold at 18 rather than 13 (the COPPA threshold) means the policy asserts a higher minimum age for service use, which affects how accounts created by users under 18 are treated and what rights apply to their data.
Twitch
· Twitch Privacy Notice
Children's online privacy is subject to specific legal protections under COPPA in the U.S. and similar frameworks internationally; the adequacy of Twitch's age verification and data handling for minors is a significant compliance area given the platform's broad user base.
Yelp
· Yelp Privacy Policy
COPPA requires specific protections for children under 13, and Yelp's compliance depends on the effectiveness of its age verification and detection practices; parents have a right to request deletion of any data inadvertently collected from their minor children.
This provision establishes Eventbrite's compliance framework with children's privacy regulations, particularly the Children's Online Privacy Protection Act (COPPA). It defines the company's operational posture regarding age-gated service access and specifies the remedial procedure for inadvertent collection of protected information.
Zillow
· Zillow Privacy Notice
The provision operationalizes Zillow's compliance obligations under the Children's Online Privacy Protection Act (COPPA), which restricts data collection from children under 13 without parental consent. It establishes the company's procedural mechanism for identifying and remediating unauthorized collection of children's data.
OpenAI
· OpenAI Privacy Policy
This provision implements compliance requirements under the Children's Online Privacy Protection Act (COPPA) and similar child privacy regulations. It establishes OpenAI's operational stance regarding age-gated service access and creates a data deletion procedure for inadvertently collected information from children under 13.
This provision establishes Poshmark's compliance posture under the Children's Online Privacy Protection Act, but does not address the growing regulatory trend toward higher age thresholds or enhanced protections for users between 13 and 17.
Runway
· Runway Privacy Policy
This provision establishes Runway's COPPA compliance posture, relying on a 'not directed to children' standard. The policy does not describe any age verification mechanism, which is a common limitation in online service COPPA compliance. The collection of biometric data from users raises heightened considerations if any underage users access the service.
GOAT
· GOAT Privacy Policy
The clause operationalizes compliance obligations under applicable children's privacy laws by specifying age eligibility requirements and data handling procedures for minors, establishing the legal framework under which the service operates.
Zoom
· Zoom Privacy Statement
This provision establishes Zoom's compliance framework for Children's Online Privacy Protection Act (COPPA) obligations and similar age-based data protection regulations. It creates a notice mechanism for users to report potential violations of stated age-restriction policies.
The age threshold of 16 in certain jurisdictions (consistent with GDPR requirements) is a legally significant distinction that parents and guardians of teenagers should be aware of when considering platform access.
Udemy
· Udemy Privacy Policy
The age threshold of 16 (rather than 13, which COPPA requires) creates a more protective standard for minors in the U.S. and aligns with GDPR Article 8 requirements in the EU, but parents or guardians should be aware there is no verified age-gating mechanism described in the policy.
This provision operationalizes Pinterest's compliance with the Children's Online Privacy Protection Act (COPPA), which restricts data collection from users under 13 and requires parental consent for such collection. The mechanism establishes age-gating requirements and a notice-and-takedown process for unauthorized minor accounts.
GitHub
· GitHub Privacy Statement
This provision establishes GitHub's compliance posture with the Children's Online Privacy Protection Act (COPPA) and similar regulations by defining both a data collection restriction for minors and a remediation mechanism for violations discovered post-collection.
Children's online privacy is subject to strict legal requirements in the US and internationally, and the App Store's role as a distribution platform for children's apps means Apple's age verification and parental consent mechanisms are particularly significant for families.
Adobe
· Adobe Privacy Policy
This provision establishes minimum protections for children's data consistent with COPPA requirements, but parents should be aware that enforcement relies on self-reporting and Adobe's awareness of user age, not on verified age-gating.
Visa
· Visa Privacy Notice
The provision ensures compliance with children's privacy regulations such as COPPA and similar statutory frameworks across jurisdictions. It establishes procedural requirements for Visa's handling of minor user data and creates verification mechanisms for parental consent where applicable.
This provision establishes Coursera's operational compliance framework with children's privacy regulations, including COPPA in the United States and equivalent protections in other jurisdictions. The clause creates a procedural obligation for data deletion upon discovery of non-compliant collection, which affects how the platform manages account registrations and data retention for minors.
The clause implements age-based access controls aligned with children's privacy regulations, including the Children's Online Privacy Protection Act (COPPA) in the United States and equivalent data protection frameworks in other jurisdictions. It establishes Pinterest's operational requirement to restrict service availability based on user age.
The policy relies on a knowledge-based trigger for child data protections in the U.S. ('actual knowledge'), which is the COPPA standard, but does not describe what age verification measures are in place to identify underage users before data collection begins.
T-Mobile offers family plans and devices that minors actively use, creating a practical tension between this policy commitment and the reality of minors accessing services through family accounts.
This provision establishes Google's COPPA compliance posture for general Google services; YouTube operates a separate YouTube Kids product with additional protections, and the FTC has previously taken enforcement action against YouTube regarding collection of data from children on the main platform.
Parents should be aware that Samsung's general services are not designed for children under 13, but Samsung devices are widely used by children and the policy does not describe specific technical controls to prevent children from accessing general services.
COPPA compliance provisions establish the legal boundaries and operational procedures Paramount+ must follow when children access the service. This framework governs what information the platform collects from child users, how that information may be used, and what disclosures and parental protections must be implemented.
The provision implements a segmented disclosure structure for COPPA-regulated products, allocating children's data practices to a specialized notice. This allows T-Mobile to maintain product-specific privacy terms while centralizing general privacy practices in the primary policy.
This provision reflects Verizon's legal obligations under COPPA, which requires verifiable parental consent before collecting personal information from children under 13, and provides a baseline protection for families using Verizon services.
While this provision provides a baseline COPPA commitment, it relies on a reactive 'if we learn' standard rather than proactive age verification, which may leave gaps in practice for a brand with significant appeal to children.