Unfortuitously, the FTC cannot offer an impression on whether a particular website or service is directed to kiddies. In the event that you continue steadily to have questions regarding whether your articles is directed to children, think about calling a legal professional or consulting one of several COPPA secure Harbor programs вЂ“ self-regulatory teams that provide help with just how operators can adhere to what the law states.
This will depend. Because of its really nature, more often than not, a webpage or online service (such as for example an software) directed to young ones must treat all visitors as kids and supply COPPAвЂ™s defenses to every such visitor. This means when it comes to many part, a webpage or online service directed to young ones may not screen users for age.
Nonetheless, the Rule offers an exception that is narrow a website or solution which may be directed to young ones underneath the criteria established in FAQ D.1 above, but that will not target young ones as the main market (sometimes known as вЂњmixed audienceвЂќ). In case the web web site or solution goals kiddies under age 13, but kiddies under 13 aren’t your main market (age.g., your website additionally targets grownups or older teenagers), it is possible to make the most of this exclusion. You are able to implement an age display screen; for users whom suggest these are generally kids under 13, you are able to make sure you can obtain verifiable parental consent that you do not collect personal information from those users, or. You will need to stress that the audience that isвЂњmixed category is just a subset associated with вЂњdirected to childrenвЂќ category, and a broad market web web web site will not become вЂњmixed audienceвЂќ simply because some kiddies make use of the web web site or service.
An operator of a niche site or service conference this standard may age-screen its users as under age 13 without first complying with the RuleвЂ™s notice and parental consent provisions if it: (1) does not collect personal information from any visitor prior to collecting age information, and (2) prevents the collection, use, or disclosure of personal information from visitors who identify themselves. See 16 C.F.R. В§ 312.2 (meaning of вЂњWeb site or service that is online to young ones,вЂќ paragraph (3)). Remember unlike a broad market site or solution, as an operator of a web site or online solution directed to young ones, may very well not block kids from taking part in the internet site or service that is online.
The likely audience for your website or online service as the operator, you should carefully analyze who your intended audience is, the actual audience, and in many instances. For making these determinations, you have to keep in mind the facets for the вЂњWeb website or online solution directed to childrenвЂќ found in paragraph (1) of 16 C.F.R. В§ 312.2. See FAQ D.1 and D.3 above. You can also get an improved feeling of your internet site or service once it is often in procedure, and may even have to make some modifications correctly.
No. Then you may age screen your users, but you may not block children from participating altogether if your site is вЂњmixed audienceвЂќ (i.e., it falls within the definition of a вЂњWeb site or online service directed to childrenвЂќ as set forth in paragraph (3) of 16 C.F.R. В§ 312.2. Rather, the Rule allows you to utilize an age display screen to be able to distinguish between users under age 13 along with other users. You might choose to provide different tasks, or functions, to your users based upon age, you may well not gather information that is personal from users who’ve suggested these are typically under 13 without very very first obtaining verifiable parental permission.