Federal Trade Commission Sensitive Location Data Prohibit
On 9 January, 2024, the Federal Trade Commission (FTC) issued its first settlement prohibiting a data broker from sharing or selling sensitive location data, and required deletion of all location data collected deceptively. The FTC alleged that X-Mode Social (“X-Mode”), and Outlogic, LLC (“Outlogic”), X-Mode’s successor firm, failed to implement reasonable and appropriate safeguards on the use of such information by third parties. X-Mode/Outlogic collected personal information, including location data via its mobile applications, which it would then sell to third parties.
X-Mode and Outlogic sold non-anonymized raw location data, which the FTC notes can be associated with mobile advertising IDs and allows businesses to match an individual consumer’s mobile device with the locations they visited. The information shared with third parties included “sensitive data location,” which is characterized as information that reveals visits to houses of worship or doctors’ offices. The FTC alleged that the sale of such data poses an unwarranted intrusion into the most provide areas of a consumers’ lives.
The FTC alleged that X-Mode/Outlogic violated the FTC Act by engaging in unfair and deceptive practices when it: (1) failed to inform consumers which third parties would receive their location data; (2) failed to receive informed consent prior to sharing the information; (3) created custom audience segments based on which medical facilities consumers had visited; and (4) failed to employ the necessary technical safeguards to ensure opt-out requests from Android users were honored.
The FTC ordered the X-Mode/Outlogic to destroy all location data previously collected, to limit its sharing of sensitive location data, to develop a program to ensure informed consent is collected from consumers, and to provide a simple way for consumers to withdraw their consent, among other requirements. The full consent agreement package will be published in the Federal Register.
In the meantime, the FTC noted in a press release that businesses do not have “free license to market and sell Americans’ sensitive location data” and that the FTC will continue to protect intrusive data brokers and unchecked corporate surveillance.
Reach Out
Don’t hesitate to reach out to us to discuss your specific needs. Our team is ready and eager to provide you with tailored solutions that align with your firm’s goals and enhance your digital marketing efforts. We look forward to helping you grow your law practice online.
Our Services:
Blog Post Writing
We do well-researched, timely, and engaging blog posts that resonate with your clientele, positioning you as a thought leader in your domain. Content Writing: Beyond blogs, we delve into comprehensive content pieces like eBooks, whitepapers, and case studies, tailored to showcase your expertise.
Website Content Writing
First impressions matter. Our content ensures your website reflects the professionalism, dedication, and expertise you bring to the table.
Social Media Management
In today’s interconnected world, your online presence extends to social platforms. We help you navigate this terrain, ensuring your voice is consistently represented and heard.
WordPress Website Maintenance
Your digital office should be as polished and functional as your physical one. We ensure your WordPress site remains updated, secure, and user-friendly.
For more information, ad placements in our attorney blog network, article requests, social media management, or listings on our top 10 attorney sites, reach out to us at seoattorneyservices@gmail.com.
Warm regards,
The Personal Injury Attorney Costa Mesa Team
AD SPACE FOR RENT
Source link







