- From: Alan Chapell <achapell@chapellassociates.com>
- Date: Wed, 22 Feb 2012 09:31:23 -0500
- To: Jeffrey Chester <jeff@democraticmedia.org>, "public-tracking@w3.org (public-tracking@w3.org)" <public-tracking@w3.org>
Thanks Jeff - This is certainly a step in the right direction. I'd like to propose my own text for consideration. When seeking exemption when DNT:1 is sent sites should communicate those requests clearly, accurately and in line with consumer protection law(s) in the jurisdiction(s) in which they operate. Cheers, Alan Chapell Chapell & Associates 917 318 8440 On 2/22/12 9:16 AM, "Jeffrey Chester" <jeff@democraticmedia.org> wrote: >> When seeking exemption when DNT:1 is sent, a site must disclose on the >>first screen an accurate summary of their data tracking practices. It >>should succinctly and accurately explain how a user will be tracked on >>the site, and what data may be shared or used by third parties. The >>site should not rely on privacy statement that requires the user to >>travel to another page. Sites seeking an exemption should engage in >>additional disclosure when seeking a user exemption from DNT:1 > >
Received on Wednesday, 22 February 2012 14:32:21 UTC