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Children's Online Privacy Policy

Children’s Online Privacy Policy

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Updated: 05/1/2024

The GiniCoe Family, is committed to protecting the privacy of children who use our sites and applications. This Children’s Online Privacy Policy explains our information collection, disclosure, and parental consent practices with respect to information provided by children under the age of 13 (“child” or “children”), and uses terms that are defined in our general Privacy Policy. This policy is in accordance with the U.S. Children’s Online Privacy Protection Act (“COPPA”), GDPR-K, AADC. For more information about COPPA and general tips about protecting children’s online privacy, please visit On Guard Online.

1. The Information We Collect From Children, How We Use It, and How and When We Communicate With Parents

GINICOE offers to its users a range of sites and applications, some of which are primarily targeted at children, and others that are intended for users of all ages and their families. Our sites and applications offer a variety of security features, including features that may collect information from children. Below we summarize potential instances of collection and outline how and when we will provide parental notice and/or seek parental consent. In any instance that we collect personal information from a child, we will retain that information only so long as reasonably necessary to fulfill the security features request or allow the child to continue to participate in the security feature, and ensure the security of our users and our services, or as required by law. In the event we discover we have collected information from a child in a manner inconsistent with COPPA’s requirements, we will either delete the information or immediately seek the parent’s consent for that collection.

Registration

Children can, in many cases, register with our sites and applications to view content and access service. During the registration process, we may ask the child to provide certain information for notification and security purposes, including a parent or guardian’s email address, the child’s first name and gender, the child’s member or account username, and password. We also may ask for birth dates from children to validate their ages. We will only ask for the child’s facial image from the neck up. We strongly advise children never to provide any personal information in their usernames. Please note that children can choose whether to share their information with us, but certain features cannot function without it. As a result, children may not be able to access certain features if required information has not been provided. We will not require a child to provide more information than is reasonably necessary in order to participate in our security deliverables, features, and services.

About the collection of parent email address: Consistent with the requirements of U.S. compliant COPPA, and GDPR-K, AADC, on any child-targeted site or application, or in any instance where we ask for age and determine the user is age 12 or under, we will ask for a parent or guardian’s email address before we collect any personal information from the child. If you believe your child is participating in an activity that collects personal information and you or another parent/guardian have NOT received an email providing notice or seeking your consent, please feel free to contact us at memberservices[@]ginicoe.com.  We will not use parent emails provided for parental consent purposes to market to the parent, unless the parent has expressly opted in to email marketing or has separately participated in a security product that allows for such email contact.


Content Generated by a Child

Certain security products on our sites and applications allow children to create or manipulate their account and save it with GINICOE. Some of these activities do not require children to provide any personal information and therefore may not result in notice to the parent or require parental consent. If an activity potentially allows a child to insert personal information and/or their facial image in their created account, we will either pre-screen the submission to delete any personal information, or we will seek verifiable parental consent by email, a phone call, or signature-fax for the collection. Examples of created account information that may include personal information are full name, age, address, city, state, facial image, likeness, or biometric, ethnicity, gender, and algorithmic calculation of their social justice outerchange rating (SoJOR). If, in addition to collecting attributes that includes personal information, GINICOE also plans to post the account information publicly or share it with a third party [the merchant, bank, government, health care, or educational facility] for the third party’s own use, we will obtain a higher level of parental consent.

 

About Verifiable Parental Consent:

Automated Tools. Ginicoe may use parent or guardian verification automated tools that are in part or in whole a composition of Parent Graph or similar public, private, or internal databases.

Email Consent. In the event GINICOE wishes to collect personal information from a child, COPPA requires that we first seek a parent or guardian’s consent by email. In the email we will explain what information we are collecting, how we plan to use it, how the parent can provide consent, and how the parent can revoke consent. If we do not receive parental consent within a reasonable time, we will delete the parent contact information and any other information collected from the child in connection with that activity.

High-Level Consent. In the event GINICOE collects personal information from a child that will be posted publicly, we will seek a higher level of consent than email consent. Such “high-level” methods of consent may include but are not limited to asking for a credit card or other payment method for verification (with a nominal charge involved), speaking to a trained customer service representative by recorded telephone or video chat, or requiring a signed consent form by mail, email attachment, or fax. After providing high-level consent, a parent may have the opportunity to use a PIN or password in future communications as a way to confirm the parent’s identity.

Teacher consent in lieu of a parent. With regard to educational-based security products and services, COPPA allows teachers and school administrators to act in the stead of parents to provide consent for the collection of personal information from children. Schools should always notify parents about these security products. For more information on parental rights with respect to a child’s educational record under the Family Educational Rights and Privacy Act (FERPA), please visit the FERPA site.

Email Contact with a Child

On occasion, in order to respond to a question or request from a child, GINICOE may need to ask for the child’s online contact information, such as an email address. GINICOE will delete this information immediately after responding to the question or request.

In connection with certain activities or services, we may collect a child’s online contact information, such as an email address, in order to communicate with the child more than once. In such instances, we will retain the child’s online contact information to honor the request and for no other purpose such as marketing. One example would be a newsletter that provides occasional updates about a site, merchant activity, government benefit, or missing children or amber alert or similar locator systems. Whenever we collect a child’s online contact information for ongoing communications, we will simultaneously require a parent email address in order to notify the parent about the collection and use of the child’s information, as well as to provide the parent an opportunity to prevent further contact with the child. On some occasions, a child may be engaged in more than one ongoing communication, and a parent may be required to “opt-out” of each communication individually.

Push Notifications

Push notifications are notifications on mobile and other devices that are typically associated with downloaded applications, and which can communicate to the device holder even when the application is not in use. We will require a child to provide a parent's email address before the child can receive push notifications from our child-directed applications that collect a device identifier. We will then provide the parent with notice of our contact with the child and will provide the parent the opportunity to prevent further notifications. Finally, we will not associate the device identifier with other personal information without contacting the parent to get consent.

Geolocation Data

If a child-directed GINICOE site or application collects geolocation information, as in the instance of our Positive Conversation component, of the child’s SoJOR rating, that is specific enough to equate to the collection of a street address, we will first seek parental consent via email 1x only and the parent agrees that geolocation data will continue throughout the active lifecycle of the account.

Persistent Identifiers

When children interact with us, certain information may automatically be collected, both to make our sites and applications more interesting and useful to children and for various purposes related to our business. Examples include the type of computer operating system, the child’s IP address or mobile device identifier, the web browser, the frequency with which the child visits various parts of our sites or applications, and information regarding the online or mobile service provider. This information is collected using technologies such as cookies, flash cookies, web beacons, and other unique identifiers (which we define under the “Online Tracking Technologies” section of our general Privacy Policy). This information may be collected by GINICOE or by a third party. This data is principally used for internal purposes only, in order to:

·       provide children with access to features and activities on our sites and applications

·       customize security products and improve our sites and applications

·       conduct research and analysis to address the performance of our sites and applications

·       generate anonymous reporting for use by GINICOE

In the event we collect (or allow others to collect) such information from children on our sites and applications for other purposes, we will notify parents and obtain consent prior to such collection.

The list of third-party operators who collect persistent identifiers on our sites and applications may be found here.

Please contact us at the mailing address, email, or phone number below with questions about the operators’ privacy policies and collection and use practices:

Ginicoe Corp. Attn:  COPPA Dept, P.O. Box 12521
East Cleveland, Ohio 44112,
United States of America

Phone: 347.464.9144
Email: privacycontact[@]ginicoe.com

2. When Information Collected From Children Is Available To Others

In addition to those rare instances where a child’s personal information is posted publicly (after receiving high-level parental consent), we also may share or disclose personal information collected from children in a limited number of instances, including the following:

·       We may share information with our service providers if necessary for them to perform a business, professional, or technology support function for us.

·       We may disclose personal information if permitted or required by law, for example, in response to a court order or a subpoena. To the extent permitted by applicable law, we also may disclose personal information collected from children (i) in response to a law enforcement or public agency’s (including schools or children services) request; (ii) if we believe disclosure may prevent the instigation of a crime, facilitate an investigation related to public safety or protect the safety of a child using our sites or applications; (iii) to protect the security or integrity of our sites, applications, and other technology, as well as the technology of our service providers; or (iv) enable us to take precautions against liability.

3. Parental Choices and Controls

At any time, parents can refuse to permit us to collect further personal information from their children in association with a particular account, and can request that we delete from our records the personal information we have collected in connection with that account. Please keep in mind that a request to delete records may lead to a termination of an account, membership, or other service.

Where a child has registered for a Ginicoe.com account, we use two methods to allow parents to access, change, or delete the personally identifiable information that we have collected from their children:

1.    Parents can request access to and delete their child’s personal information by logging on to the child’s account through the Welcome Social Justice Warrior SignIn Page located here. Parents will need their child’s username and password. The forgot password explains how to recover a password if the child cannot recall it.

2.    Parents can contact Guest Services to request access to, change, or delete their child’s personal information by sending an email to us at memberservices[@]ginicoe.com.

 

In any correspondence such as e-mail or mail, please include the child’s username and the parent’s email address and telephone number. To protect children’s privacy and security, we will take reasonable steps to help verify a parent’s identity before granting access to any personal information.

Ginicoe supports a Privacy Bill of Rights for young people ages 1– 13