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FTC Releases Voluntary Privacy Guidelines for Online Behavioral Advertising

December 21, 2007

Late yesterday, the U.S. Federal Trade Commission proposed a set of voluntary principles to promote privacy practices in online behavioral advertising.

Online behavioral advertising is the online tracking of a consumers activities, including searches performed, Web pages visited and in what order. This information is sometimes used to deliver targeted advertising to consumers.

Determination of which ads are delivered is often informed by information gleaned from this tracking. For example, online searches for travel destinations and related info might result in the consumer being delivered travel ads via email.

Follow along for relevant portions of the FCC's guidelines for privacy practices in online behavioral advertising:

For more than a decade, the FTC has engaged in investigation, law enforcement, studies, and other privacy developments to protect consumers’ privacy online. Concepts used to develop the principles emerged from the agency’s longstanding privacy program and, more recently, from two conferences hosted by the FTC. In the fall of 2006, a three-day public hearing, “Protecting Consumers in the Next Tech-ade,” examined technology developments that could raise consumer protection policy issues, including privacy, over the next decade. This past November, building on the Tech-ade hearings, the FTC hosted a Town Hall entitled “Ehavioral Advertising: Tracking, Targeting, and Technology,” to focus in on privacy issues raised by behavioral advertising.

“The purpose of this proposal is to encourage more meaningful and enforceable self-regulation to address the privacy concerns raised with respect to behavioral advertising. In developing the principles, FTC staff was mindful of the need to maintain vigorous competition in online advertising as well as the importance of accommodating the wide variety of business models that exist in this area,” according to its proposal “Behavioral Advertising: Moving the Discussion Forward to Possible Self-Regulatory Principles.” The proposal states that behavioral advertising provides benefits to consumers in the form of free content and personalized advertising but notes that this practice is largely invisible and unknown to consumers.

To address the need for greater transparency and consumer control regarding privacy issues raised by behavioral advertising, the FTC staff proposes:

  • Every Web site where data is collected for behavioral advertising should provide a clear, consumer-friendly, and prominent statement that data is being collected to provide ads targeted to the consumer and give consumers the ability to choose whether or not to have their information collected for such purpose.

To address the concern that data collected for behavioral advertising may find its way into the hands of criminals or other wrongdoers, and concerns about the length of time companies are retaining consumer data, the FTC staff proposes:

  • Any company that collects or stores consumer data for behavioral advertising should provide reasonable security for that data and should retain data only as long as is necessary to fulfill a legitimate business or law enforcement need.
To address the concern that companies may not keep their privacy promises when they change their privacy policies, FTC staff proposes:
  • Companies should obtain affirmative express consent from affected consumers before using data in a manner materially different from promises the company made when it collected the data.

To address the concern that sensitive data – medical information or children’s activities online, for example – may be used in behavioral advertising, FTC staff proposes:

  • Companies should only collect sensitive data for behavioral advertising if they obtain affirmative express consent from the consumer to receive such advertising.
  • FTC staff also seeks comment on what constitutes “sensitive data” and whether the use of sensitive data should be prohibited, rather than subject to consumer choice.

The staff is seeking additional information about whether tracking data is being used for purposes other than behavioral advertising and whether such secondary uses, if they occur, merit some form of heightened protection.

Because online advertising supports free Web content and other benefits, the choice by consumers not to participate in behavioral advertising could reduce the availability of these benefits. The FTC is seeking comments from all interested parties on the proposed principles, including the costs and benefits of offering choice for behavioral advertising. Comments can be sent to [email protected].

The Commission vote approving issuance of the principles was 5-0.

Copies of “Behavioral Advertising, Moving the Discussion Forward to Possible Self-Regulatory Principles,” can be found URL. The FTC works for the consumer to prevent fraudulent, deceptive, and unfair business practices and to provide information to help spot, stop, and avoid them. To file a complaint in English or Spanish, click http://www.ftc.gov/ftc/complaint.shtm or call 1-877-382-4357. The FTC enters Internet, telemarketing, identity theft, and other fraud-related complaints into Consumer Sentinel, a secure, online database available to more than 1,600 civil and criminal law enforcement agencies in the U.S. and abroad. For free information on a variety of consumer topics, click http://www.ftc.gov/bcp/consumer.shtm.




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