IAPP PRIVACY ACADEMY
|
|
|
- Gary McDowell
- 10 years ago
- Views:
Transcription
1
2 IAPP PRIVACY ACADEMY KEEPING UP WITH EMERGING STANDARDS FOR MOBILE PRIVACY Joanne McNabb Julie Mayer Tim Tobin Director of Privacy Staff Attorney Partner Education & Policy Northwest Regional Office Hogan Lovells Office of the Attorney General Federal Trade Commission California Department of Justice October 2, 2013
3 OVERVIEW US Federal Legal Landscape FTC Regulatory Framework and Enforcement FTC Guidance California: Leading the States California OPPA and Recent Amendment Recommendations Self-Regulatory Initiatives for apps (NTIA, DAA, NAI, FPF/CDT) International treatment of apps (EU) US Text Advertising
4 FTC REGULATORY FRAMEWORK AND ENFORCEMENT
5 FTC REGULATORY FRAMEWORK Section 5 of the FTC Act prohibits unfair or deceptive trade practices COPPA Rule - governs online collection of personal information from children (including through apps) Fair Credit Reporting Act requires accuracy in credit reporting information and provides dispute rights for consumers
6 FTC MOBILE APP ENFORCEMENT: RULES OF THE ROAD 1. Tell the Truth About your product: DermApps About your data practices: Path 2. Secure Consumer Information HTC 3. Comply with COPPA W3 Innovations, dba Broken Thumbs 4. Make Sure Your Credit Reports Are Accurate and Used for Permissible Purposes Filiquarian Publishing
7 February 2012 Kids Apps Report March 2012 Privacy Report FTC REPORTS March 2013.com December 2012 Kids Apps Report February 2013 Mobile Privacy Disclosures March 2013 Mobile Payments Report Disclosures
8 MARCH 2012 PRIVACY REPORT 3 Main Principles: All Apply to Mobile Environment Principle #1: Adopt Privacy by Design Principle #2: Simplify Privacy Choices Just-in-time disclosures Do Not Track Principle #3: Improve Transparency Standardize and enhance privacy disclosures to enable better comprehension and comparison of privacy practices
9 KIDS APP REPORTS 2012 Kids App Reports (2) Examined 400 apps Many apps shared information with third parties without disclosing this fact Found 58% of kids apps include ads, but only 9% tell you so
10 KIDS APPS STATISTICS
11 MOBILE PRIVACY DISCLOSURES February 2013 Staff Report Outgrowth of commission s prior work on mobile privacy and workshop discussions and comments Recommended Best Practices for: Platforms App Developers Ad Networks and other Third Parties App Developer Trade Associations
12 MOBILE PAYMENTS FTC has broad jurisdiction of many of the participants in the mobile payment ecosystem, including: Hardware manufacturers, os developers, data brokers, coupon and loyalty programs, payment card networks, advertising cos, retailers, and merchants Mobile operator engaging in payment functions such as mobile carrier billing
13 MOBILE PAYMENTS Use of mobile payments raises significant privacy concerns due to: High number of companies involved Large amount of data being collected Ability to consolidate personal and purchase data in new ways versus a traditional credit or debit card purchase
14 FTC MOBILE GUIDANCE Mobile App Developers: Start with Security (February 2013) Rush to market introduces flaws Security by Design Marketing Your Mobile App: Getting it Right (September 2012) Be truthful Be transparent Sound familiar?
15 MOBILE PRIVACY IN CALIFORNIA
16 CalOPPA California Online Privacy Protection Act Operators of commercial website/online service collecting PII on CA residents shall make privacy policy conspicuously available PII broadly defined (identifier that permits contacting) Must comply with the privacy policy AB 370: Disclose response to DNT signals
17 IT TAKES A VILLAGE OR AN ECOSYSTEM to protect privacy in the mobile sphere
18 RECOMMENDATIONS FOR APP PLATFORMS/STORES
19 PLATFORMS FOR PRIVACY Make app privacy policy accessible in the store. Provide means for users to report noncompliant apps. Implement process for responding to such reports Help educate consumers on mobile privacy.
20 RECOMMENDATIONS FOR APP DEVELOPERS
21 SURPRISE MINIMIZATION
22 ENHANCED NOTICE Alert users with enhanced measures For collection of PII not related to app s basic functionality For collection of sensitive information Two approaches recommended Short privacy statement + privacy settings Just-in-time special notices
23 BASIC PRIVACY PRACTICES Avoid or limit collecting PII not required for app s functionality. Avoid or limit collecting sensitive information. Use app-specific, non-persistent device IDs.
24
25 MOBILE APP SELF- REGULATORY GUIDELINES
26 NTIA CODE OF CONDUCT App Developers Focus on short notice Collection of data types (biometric, location, browser history, user files)
27 NTIA CODE OF CONDUCT App Developers Focus on short notice Sharing of user data with third parties (ad networks, carriers, government entities)
28 NTIA CODE OF CONDUCT Means of Accessing Long Form Privacy Policy Exceptions: (1) not identified or promptly de-identified data; (2) certain operational purposes; and (3) unauthorized/unknown data collection
29 OTHER GUIDELINES DAA: Application of OBA and Multi-Site Self-Regulatory Principles to Mobile Environment (July 2013) Focuses on cross-app data Transparency, consumer control, security, consent for material changes and added protections for sensitive information NAI Mobile Application Code (July 2013) Applies only to third party digital advertising companies Focus on cross-app advertising and ad delivery and reporting Transparency, user control, use limitations, transfer restrictions, data access, quality, security and retention and accountability FPF/CDT Best Practices for Mobile App Developers Transparency and Accessibility Address changes Use short form notice and enhanced notice
30 MOBILE APP PRIVACY ABROAD
31 ARTICLE 29 WORKING PARTY Opinion on Mobile Apps (March 2013) Applies to all apps available to EU users regardless of where app developer is located Cookie consent provisions of the 2002 eprivacy Directive also apply to apps downloaded by EU users i.e., users consent must be obtained prior to installing or accessing any information stored on their devices Consumers should be free to say no to processing and choices should be granular Cites to US guidance, including FTC for just in time notice principle
32 WHATSAPP INVESTIGATION Joint Dutch and Canadian DPA investigation of WhatsApp s data collection, use, storage, and sharing practices
33 FCC (TCPA), FTC AND TEXT MARKETING
34 TCPA AND TEXT MARKETING Most Autodialed calls to wireless numbers require prior express consent - text messages are calls - Commercial texts typically sent via autodialers
35 TCPA AND TEXT MARKETING Non-advertisement/telemarketing texts Prior express consent (written or oral) Advertising/telemarketing texts No primary purpose test (FCC; Chesbro v. Best Buy) Oct. 16, Prior express written consent: Signed, written agreement (E-SIGN) with the following clear and conspicuous disclosures By signing, person authorizes autodialed telemarketing calls Agreement not requirement for purchasing any property, goods or service
36 TEXT MARKETING TCPA Ramifications Private Right of Action Actual damages or $500 per violation (willful/knowing = $1,500) Multiple mult-million dollar settlements FCC enforcement = $16,000 per violation FCC also has CAN-SPAM jurisdiction over MSCMs FTC Has filed suits against multiple text spammers for various section 5 violations
37 TEXT MARKETING INDUSTRY GUIDELINES Mobile Marketing Association US Consumer Best Practices Mobile Advertising Guidelines Global Code of Conduct Disclosure Examples (Subscription): Msg&Data Rates May Apply. Get 1 msg/week. Reply HELP for help. Reply STOP at any time to cancel. (Honor STOP, END, CANCEL, UNSUBSCRIBE or QUIT) T&Cs avail at [web URL for full Terms and Conditions; if possible, included an embedded link to the URL]
38 SUMMARY
39 SUMMARY Apps: Know what app does Be truthful and transparent (e.g., short form disclosures) Just in time choices for unexpected collection/sharing Address security Know audience (EU residents; appeal to children under 13) Know your role (developer, app platform, ad network) Text Messages Always have prior express consent For advertising/telemarketing, have prior express written consent in conformity with FCC rules - Honor opt-outs and include disclosure on rates, etc.
40 FTC RESOURCES FTC Business Center: business.ftc.gov COPPA FAQs: COPPA-Frequently-Asked-Questions Mobile Privacy Disclosures: Protecting Consumer Privacy in an Era of Rapid Change:
41 CALIFORNIA RESOURCES California Privacy Laws, Legislation, Business Guidance, Consumer Information Privacy on the Go Joint Statement of Principles (with app platform companies)
42 APP SELF-REGULATORY RESOURCES NTIA Code of Conduct DAA Principles NAI Mobile Application Code pplication_code.pdf
43 OTHER RESOURCES EU Art. 29 Opinion on Mobile Apps protection/article- 29/documentation/opinionrecommendation/files/2013/wp202_en.pdf FCC TCPA and CAN-SPAM Rules 47 CFR ; 47 CFR
The Digital Marketing Ecosystem: Trends, Risks and Obligations
The Digital Marketing Ecosystem: Trends, Risks and Obligations Teena H. Lee, Vice President, Privacy and E-commerce Counsel The Estée Lauder Companies Inc. Bridget C. Treacy, Partner, Hunton & Williams
TOY INDUSTRY CHECKLIST FOR MOBILE APPS AND PROMOTIONS
TOY INDUSTRY CHECKLIST FOR MOBILE APPS AND PROMOTIONS JULY 2012 Overview Members of the toy industry are fast embracing the world of mobile applications ( apps ). Apps offer a new world of engaging content
Zubi Advertising Privacy Policy
Zubi Advertising Privacy Policy This privacy policy applies to information collected by Zubi Advertising Services, Inc. ( Company, we or us ), on our Latino Emoji mobile application or via our Latino Emoji
Arthur Rotatori, McGlinchey Stafford, PLLC Jason Romrell, LeadsMarket.com Dustin Alonzo, McGlinchey Stafford, PLLC. #LEND360 LEND360.
Arthur Rotatori, McGlinchey Stafford, PLLC Jason Romrell, LeadsMarket.com Dustin Alonzo, McGlinchey Stafford, PLLC #LEND360 LEND360.org Overview of Federal, State & Industry Regula9on Federal Trade Commission
PRIVACY POLICY Effective Date:, 2016. 1. INTRODUCTION AND OVERVIEW
PRIVACY POLICY Effective Date:, 2016. 1. INTRODUCTION AND OVERVIEW This Privacy Policy describes how EPSON America, Inc. ( EPSON, we, our, or us ) collects, uses, and shares information about you and applies
Wrong Number: Hot Topics In TCPA Compliance & Litigation
Wrong Number: Hot Topics In TCPA Compliance & Litigation Yaron Dori Covington & Burling LLP Nancy Thomas Morrison & Foerster LLP Julie O Neill Morrison & Foerster LLP International Association of Privacy
PRIVACY POLICY. Your Personal Information will be processed by Whistle Sports in the United States.
PRIVACY POLICY This Policy was last changed on March 31, 2015. Kids Sports Entertainment, Inc. d/b/a The Whistle ( Whistle Sports ) and its affiliates operate this website, and any and all Whistle Sports
WESTLAW JOURNAL COMPUTER & INTERNET
Westlaw Journal COMPUTER & INTERNET Litigation News and Analysis Legislation Regulation Expert Commentary VOLUME 30, ISSUE 21 / MARCH 22, 2013 Expert Analysis The FTC and Mobile Privacy By John L. Hines
BBVA Wallet Application Privacy Policy
BBVA Wallet Application Privacy Policy Effective date: September 14, 2015 This Privacy Policy describes our practices related to the use, storage and disclosure of information we collect from or about
Consent to Call? Internet Leads and the Telephone Consumer Protection Act. Whitepaper
Consent to Call? Internet Leads and the Telephone Consumer Protection Act Whitepaper Consent to Call? Internet Leads and the Telephone Consumer Protection Act Introduction On October 16, 2013, new FCC
THE MOBILE MAJORITY: BUILDING PRIVACY BY DESIGN INTO MOBILE APPS
THE MOBILE MAJORITY: BUILDING PRIVACY BY DESIGN INTO MOBILE APPS Clarissa Cerda, EVP, Chief Legal Officer and Secretary, LifeLock Kimberly Cilke, CIPP/US Deputy General Counsel, GoDaddy.com Timothy Sparapani
Data, Privacy, Cookies and the FTC in 2013. Kevin Stark - ExactTarget Maltie Maraj - ExactTarget Nicholas Merker - Ice Miller
Data, Privacy, Cookies and the FTC in 2013 Kevin Stark - ExactTarget Maltie Maraj - ExactTarget Nicholas Merker - Ice Miller BIOS Kevin Stark: Product Manager at ExactTarget. Focused on data security,
On the Line Consenting To A New Way Of Lead Generation Under The TCPA
Ifrah Law Whitepaper On the Line Consenting To A New Way Of Lead Generation Under The TCPA IfrahLaw Hands-on Counsel, Gloves-off Litigation PREPARED BY: Rachel Hirsch 1717 Pennsylvania Ave, N.W., Suite
CTIA Short Code Monitoring Program Short Code Monitoring Handbook
CTIA Short Code Monitoring Program Short Code Monitoring Handbook Version Number 1.5.2 Effective Date October 1, 2015 Table of Contents INTRODUCTION... 1 About This Handbook... 1 References... 1 COMPLIANCE
Privacy Policy of Dessauer Group II LLC
Privacy Policy of Dessauer Group II LLC This privacy policy has been compiled to better serve those who are concerned with how their 'Personally identifiable information' (PII) is being used online. PII,
Policy Implications: Privacy, Security and Liability Big Data in Telecom. June 7 2012 TIA 2012: INSIDE THE NETWORK Dallas TX
Policy Implications: Privacy, Security and Liability Big Data in Telecom June 7 2012 TIA 2012: INSIDE THE NETWORK Dallas TX Who We Are Leading trade association in support of information and communications
How To Get A Phone Call From A Telemarketing Company
CLIENT MEMORANDUM From: West Corporation Re: New Federal Communication Commission Rule for Autodialed and Prerecorded Message Telemarketing Calls and Abandoned Call Provisions Date: February 17, 2012 Federal
ConteGoView, Inc. Privacy Policy Last Updated on July 28, 2015
CONTEGOVIEW, INC. PRIVACY POLICY 1 ConteGoView, Inc. Privacy Policy Last Updated on July 28, 2015 This Privacy Policy discloses the privacy practices for ConteGoView, Inc. and its services and products.
The Telephone Consumer Protection Act (TCPA) Protecting the public and your company
The Telephone Consumer Protection Act (TCPA) Protecting the public and your company About AnswerNet AnswerNet is the largest privately held telemessaging company in the world and a fullservice provider
Best Practices for Mobile Application Developers. App Privacy Guidelines by the Future of Privacy Forum and the Center for Democracy & Technology
Best Practices for Mobile Application Developers App Privacy Guidelines by the Future of Privacy Forum and the Center for Democracy & Technology Table of Contents 1 2 3 8 11 12 14 15 17 17 Introduction
Interactive Communications International, Inc. Privacy Policy Your Privacy Rights
Interactive Communications International, Inc. Privacy Policy Your Privacy Rights Effective Date June 9 th 2014 (last updated June 9 th 2014) This Privacy Policy applies to the sites and apps where it
Email and Text Message Campaigns. Justine Young Gottshall Partner, InfoLawGroup
2012 Email and Text Message Campaigns Justine Young Gottshall Partner, InfoLawGroup What s the Risk? Effective and active marketing area This makes it a target for litigation and enforcement action Consumer
NAI Mobile Application Code
2013 NAI Mobile Application Code Introduction The NAI Mobile Application Code, like the 2013 NAI Code of Conduct, governs only NAI member companies. It does not govern all data collection by member companies,
Electronic Security Association, Inc. Code of Ethics and Standards of Conduct Amended May 14, 2010 by Executive Committee
Electronic Security Association, Inc. Code of Ethics and Standards of Conduct Amended May 14, 2010 by Executive Committee Members of the Electronic Security Association ( ESA ), f/k/a National Burglar
CASL Compliance: A Primer on Canada's Anti-Spam Legislation. Whitepaper by David O. Klein, Esq.
CASL Compliance: A Primer on Canada's Anti-Spam Legislation Whitepaper by David O. Klein, Esq. Part 1 Will Your Marketing Campaign Be the Target of a Class Action Lawsuit or Regulatory Investigation for
Mobile Marketing Regulatory Compliance Lurking Dangers and Cautionary Tales. Andrew Lorentz Ronnie London Ken Payson
Mobile Marketing Regulatory Compliance Lurking Dangers and Cautionary Tales Andrew Lorentz Ronnie London Ken Payson Overview Overview of regulatory regime Less-obvious compliance issues Potentially significant
Online Behavioral Advertising: Trends and Developments
Online Behavioral Advertising: Trends and Developments D. Reed Freeman, Julie O'Neill and Nicholas Datlowe, Morrison & Foerster LLP Online behavioral advertising programs, which target consumers based
Privacy Law Basics and Best Practices
Privacy Law Basics and Best Practices Information Privacy in a Digital World Stephanie Skaff [email protected] What Is Information Privacy? Your name? Your phone number or home address? Your email address?
Telemarketing, E-mail, and Text Message Marketing: Tips to Avoid Lawsuits
Telemarketing, E-mail, and Text Message Marketing: Tips to Avoid Lawsuits LeadsCouncil December 11, 2012 2 pm 3 pm ET Webinar Ari N. Rothman, Esq., Co-Presenter Molly T. Cusson, Esq., Co-Presenter Jonathan
The Canadian Self-Regulatory Program for Online Behavioural Advertising
1 The Canadian Self-Regulatory Program for Online Behavioural Advertising Introductory Webinar Adam Kardash Bridget McIlveen Osler, Hoskin & Harcourt LLP Counsel to the Digital Advertising Alliance of
PARTNER EMAIL GUIDELINES
PARTNER EMAIL GUIDELINES The guidelines listed below are required pursuant to the Agreement entered into between Criteo and the Partner. Any breach of these guidelines except the last section related to
Online Privacy Policy
Online Privacy Policy Effective date: July 7, 2015 Common Bond Communities ( Common Bond, we, us, and our ) owns and operates this website (this Site ). This Online Privacy Policy (this Policy ) describes
FCC PROVIDES ADDITIONAL CLARITY ABOUT RULES UNDER THE TELEPHONE CONSUMER PROTECTION ACT
August 3, 2015 FCC PROVIDES ADDITIONAL CLARITY ABOUT RULES UNDER THE TELEPHONE CONSUMER PROTECTION ACT The Issue: On July 10, the Federal Communications Commission (FCC) released an order addressing a
Privacy Policy. About Us and Our Purpose. Your Privacy is Our Mission
Privacy Policy The purpose of this Privacy Policy is to describe and explain how we collect, use and distribute any personal information you provide to us. It also describes the options you have available
NOVEMBER/DECEMBER 2012 DEVOTED TO INT ELLECTUAL P ROPERTY LIT IGATION & ENFORCEMENT. Edited by the Law Firm of Grimes & Battersby.
NOVEMBER/DECEMBER 2012 VOLUME 18 NUMBER 6 DEVOTED TO INT ELLECTUAL P ROPERTY LIT IGATION & ENFORCEMENT Edited by the Law Firm of Grimes & Battersby Litigator Online Behavioral Advertising: A User s Guide
Privacy Policy Last Updated September 10, 2015
Privacy Policy Last Updated September 10, 2015 Tanger Properties Limited Partnership d/b/a Tanger Outlets or Tanger Outlet Centers ("Tanger," "we" or us ), which includes affiliated companies owned or
LIDL PRIVACY POLICY. Effective Date: June 11, 2015
LIDL PRIVACY POLICY Effective Date: June 11, 2015 Thank you for visiting Lidl US, LLC's (3500 S. Clark Street, Arlington, VA 22202) website (collectively, "Lidl," "we," or "us"). We are committed to providing
IAB Europe Guidance. Five Practical Steps to help companies comply with the E-Privacy Directive
IAB Europe Guidance Five Practical Steps to help companies comply with the E-Privacy Directive Foreword The steps laid out below are intended to help brand advertisers, publishers and advertising businesses
NAI Code 2013 of Conduct
2013 NAI Code of Conduct INtroduCtIoN The Network Advertising Initiative ( NAI ) is the leading self-regulatory body governing third parties in the online advertising ecosystem. The NAI is currently composed
NBA Math Hoops Privacy Statement and Children s Privacy Statement Updated October 17, 2013.
NBA Math Hoops Privacy Statement and Children s Privacy Statement Updated October 17, 2013. This Privacy Statement applies to the web sites mobile applications provided by Learn Fresh Education Co. (collectively,
HIPAA and Beyond: The Evolving Landscape of Health Privacy
HIPAA and Beyond: The Evolving Landscape of Health Privacy Melissa Bianchi, Hogan Lovells US LLP Ann Tobin, UnitedHealth Group IAPP Global Privacy Summit, March 9, 2012 No Longer Just HIPAA New developments
Telephone Consumer Protection Act for Nonprofits
Telephone Consumer Protection Act for Nonprofits The Telephone Consumer Protection Act ( TCPA ) was enacted in 1991 and codified in Section 227 of the Communications Act of 1934. The FCC adopted updated
CAN-SPAM Policy & Data Verification Guide
BIZ SERVICE PROVIDER CAN-SPAM Compliance & Data Verification Policy Document BSP CAN-SPAM Policy & Data Verification Guide BSP Page 1 of 5 Version 8.1 Effective Date; May 2015 BIZ SERVICE PROVIDER I. Summary
Information We Collect and Store as You Access and Use the Site
Effective Date: This Privacy Policy was last revised on January, 2015. 1. What Information Does the Site Collect? (a) Information You Provide to Us Personal Information and Demographic Information. On
Privacy Risk Assessments
Privacy Risk Assessments Michael Hulet Principal November 8, 2012 Agenda Privacy Review Definition Trends Privacy Program Considerations Privacy Risk Assessment Risk Assessment Tools Generally Accepted
COMMENTARY Scope & Purpose Definitions I. Education. II. Transparency III. Consumer Control
CONTENTS: SUMMARY SELF REGULATORY PRINCIPLES FOR ONLINE BEHAVIORAL ADVERTISING Introduction Definitions I. Education II. Transparency III. Consumer Control IV. Data Security V. Material Changes to Existing
E-mail Marketing: CAN- SPAM Act Compliance David J. Ervin and Christopher M. Loeffler, Kelley Drye and Warren LLP
E-mail Marketing: CAN- SPAM Act Compliance David J. Ervin and Christopher M. Loeffler, Kelley Drye and Warren LLP This Practice Note is published by Practical Law Company on its PLC Law Department web
Rise Broadband Networks, Inc. Privacy Policy and Customer California Privacy Rights. Effective date: January, 2016
Networks, Inc. Privacy Policy and Customer California Privacy Rights Effective date: January, 2016 knows Customers care about how their personally identifiable information ( Personal Information ) is used
Privacy Policy Last Modified: April 3, 2015 1
Privacy Policy Last Modified: April 3, 2015 1 Introduction Jamberry Nails, LLC, a Utah limited liability company, U.S.A., (referred to herein as Jamberry, we, us and our ) understands the importance of
Privacy of Consumer Financial Information
Background and Overview Introduction Title V, Subtitle A of the Gramm-Leach-Bliley Act ( GLBA ) 1 governs the treatment of nonpublic personal information about consumers by financial institutions. Section
ITP 140 Mobile Technologies. Marketing
ITP 140 Mobile Technologies Marketing 2 Outbound Marketing Buying attention, cold-calling, direct paper mail, radio, TV advertisements, sales flyers, spam, Email marketing, telemarketing, and traditional
Online Lead Generation: Data Security Best Practices
Online Lead Generation: Data Security Best Practices Released September 2009 The IAB Online Lead Generation Committee has developed these Best Practices. About the IAB Online Lead Generation Committee:
If you have any questions, please do not hesitate to contact us. You may address any questions to [email protected]
October 11, 2013 Thank you again for being a valued Vocalcom customer. We are pleased to provide this letter to discuss changes in the Federal Communications Commission s (FCC s) Telephone Consumer Protection
Privacy Policy/Your California Privacy Rights Last Updated: May 28, 2015 Introduction
Privacy Policy/Your California Privacy Rights Last Updated: May 28, 2015 Introduction Welcome! TripleFirrre, LLC, dba Just Seconds Apart knows that safeguarding your privacy is serious business. Your privacy
Privacy Policy. Effective Date: September 3, 2015
Privacy Policy Effective Date: September 3, 2015 Thank you for visiting this website, which is owned by or on behalf of Einstein Noah Restaurant Group, Inc. or one of its parents, subsidiaries or affiliates
Navigating a Path to Self-Regulation: Strategies to Bring to Lead Generation
WiFiAccessCode: LEADSPEDIA Follow at #leadscon Wednesday, 1:30 2:10pm Navigating a Path to Self-Regulation: Strategies to Bring to Lead Generation SPEAKERS: Sandy Brown, Assistant Director, Financial Practices,
ACA is committed to protecting your privacy. ACA ( we, us or our ) safeguards your personal information to maintain member trust.
Privacy Policy Introduction Your access to the ACA site is subject to the privacy policy as well as all applicable laws. By accessing and using the ACA site, you accept and agree to this Privacy Policy
