This commitment directly limits one of the most common ways consumer data is monetized; users can rely on the stated promise, though enforcement depends on Craigslist's internal practices and applicable law.
Zillow
· Zillow Privacy Notice
This provision operationalizes non-discrimination protections by explicitly prohibiting price disparities, service denials, and quality reductions tied to privacy right exercise. The clause establishes a binding obligation that privacy right exercise cannot trigger differential commercial treatment.
This provision operationalizes legal non-discrimination requirements by explicitly binding Spotify to neutral treatment of users exercising privacy rights. It establishes that access to services or pricing will not be conditioned on waiver or non-exercise of privacy rights.
This disclosure is operationally relevant to users and regulators because it describes the absence of algorithmic content ranking or behavioral profiling in content display, which is a notable characteristic of the platform's design relative to social-media-style recommendation systems.
This is a meaningful consumer protection commitment, though its practical scope depends on how 'sell' is defined relative to the de-identified data sharing and joint marketing practices described elsewhere in the policy, which may or may not be characterized as a sale under applicable law.
This provision directly addresses the risk of targeted surveillance or profiling of individual users through the AI cloud infrastructure, which is a specific privacy protection relevant to both consumers and regulated enterprises.
A commitment not to sell personal data is meaningful for consumers concerned about their financial and identity data being monetized by third-party data brokers, though the policy separately permits broad sharing with service providers and affiliates.
While Wealthfront states it does not collect cross-site personal information, the non-response to DNT signals means consumers cannot use standard browser tools to control data collection, and must rely on Wealthfront's own stated practices.
This clause operationalizes compliance with statutory definitions of data sales under privacy regulations such as CCPA. It establishes the baseline practice while creating a mechanism for users to restrict a specific category of data use.
While the no-sale commitment addresses one category of concern, the policy still permits broad sharing with affiliates and service providers, meaning data can flow to third parties through channels other than a formal sale.
This provision establishes a clear data handling boundary that limits the commercial uses to which personal data may be put. It defines a specific restriction on monetization practices involving personal information collection.
The policy asserts that Anthropic does not sell personal data, which is a specific legal standard under CCPA and similar laws. However, the policy simultaneously discloses collection of advertising identifiers and provides a targeted advertising opt-out for Anthropic's own products, indicating some form of targeted advertising use for first-party promotion.
While the no-sale claim is a consumer protection, users should note that targeted advertising data sharing is distinct from selling and may still occur unless you affirmatively opt out, including by enabling a global privacy control such as GPC in your browser.
This provision establishes Anthropic's data handling framework by defining what constitutes a prohibited sale under privacy regulations and creating an opt-out mechanism for targeted advertising. The clause operationalizes compliance with privacy control standards by requiring the company to recognize and honor user preferences.
The provision establishes Supabase's position that its data practices fall outside the scope of Nevada's sale-of-information statute, while maintaining a designated channel for residents to exercise statutory opt-out rights if they choose to do so.
Cursor
· Cursor Privacy Policy
This provision addresses CCPA and US state privacy law opt-out rights directly; by stating it does not engage in these practices, Anysphere asserts that no opt-out mechanism is required for these specific uses.
This is a strong, unqualified consumer-facing commitment that, if accurate, means Wealthfront's data sharing model is limited to operational service providers and affiliates rather than commercial data monetization, which is a meaningful distinction in the financial services context.
Material changes to how your data is processed may take effect without active notification, meaning you should periodically check the notice for updates rather than relying on proactive notification.
SoFi
· SoFi Privacy Notice
This framework defines the minimum consent configuration thresholds required for SoFi to process user data under its privacy notice terms. The conditional logic establishes that certain single or paired consent selections are insufficient, which operationally determines whether data processing activities can proceed or must be withheld.
Disclosure of the legal entity name and contact information is relevant for consumers and businesses who need to direct privacy requests, complaints, or legal notices to the correct organization.
DeepL
· DeepL Privacy Policy
This provision is a key differentiator between free and paid tiers and is materially important for users and organizations handling confidential, legally privileged, or regulated content.
The provision establishes parental oversight mechanisms within the YouTube Kids platform by granting account administrators control over history visibility and collection. This operational architecture enables parents to manage data retention and viewing transparency for child accounts.
These controls give parents meaningful tools to limit data-driven recommendations, but the notice makes clear that profile-linked history persists even after reinstalling the app unless specifically deleted, which is an important operational distinction parents should understand.
Roblox
· Roblox Privacy Policy
This provision establishes a specific 24-hour data minimization practice for parental email addresses that are not acted upon, which reflects a COPPA-aligned data minimization commitment and reduces the retention of personal information beyond the purpose for which it was collected.
Lime
· Lime Privacy Policy
While Lime states it does not store full credit card numbers, billing addresses and payment metadata are retained, and your payment data is processed by third-party processors whose security standards and data practices are governed by separate agreements.
Medium
· Medium Privacy Policy
Your financial data is involved in this transaction, and understanding that it flows through a third-party processor helps you assess the security and privacy risks associated with paying on the platform.
DeepL
· DeepL Privacy Policy
This provision discloses that payment card data is handled by external payment processors operating under PCI DSS compliance standards, rather than being stored directly by DeepL. The specific payment service providers are not named in this excerpt.
The policy states that Baseten does not store payment card data directly, which limits Baseten's liability for payment card data breaches, but also means users must review the payment processor's separate privacy policy to understand how their financial data is handled.
Suno
· Suno Privacy Policy
Your payment card or billing information is handled by a third-party processor whose own privacy and security practices govern that data, so reviewing the processor's terms separately is advisable.
This provision is consumer-protective in that it confirms Supabase does not retain raw payment credentials, but it also means a portion of your financial data is governed by a third-party policy (Stripe's) that you should review separately.