Caveat Vendor
Policing Mobile Apps Remains Top Priority for California’s Attorney General
By Paul Hastings Professional
As we mentioned in a
Although the issue has yet to be resolved by a court, the AG has publicly
Another question that Delta Air Lines left unresolved is whether a privacy policy must be posted within the mobile app itself, or whether it is sufficient to post the privacy policy on the company’s website. In the Delta Air Lines complaint, the AG stated in its allegations that Delta had not posted a privacy policy containing the required disclosures about the app either in the “Fly Delta” app or on Delta’s website. The complaint seemed to suggest that online disclosures may have been permissible if the website provided the requisite information to consumers of the Fly Delta app. Informally, however, the AG has confirmed its view that CalOPPA requires privacy policies to be embedded in the mobile apps themselves.
These and other insights about the AG’s enforcement efforts were revealed at a recent
During the Paul Hastings event, Ms. McNabb explained that the Privacy Enforcement and Protection Unit will take a two-pronged approach involving (1) ensuring compliance and (2) targeted enforcement. The compliance phase, which began in late 2012, involved sending a series of warning letters sent to online services and commercial websites based on their alleged failure to display a “conspicuously” posted privacy policy. For those who did not receive such a letter, you may not be out of the woods just yet. Ms. McNabb revealed that the second phase will involve more directed enforcement efforts targeting popular health apps and children’s apps. If either category describes your business, the California AG may have its eye on you.
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