Sept. 23, 2024
See here and below; our comments to the Attorney General’s office on how to implement regulations for the Child Data Protection Act, passed by the NY State Legislature in June 2024, so that it doesn’t inadvertently weaken student privacy and instead strengthens the privacy of children and teens, in and out of schools.
For more on the AG’s request for comments see their website here. The deadline is September 30, 2024 to be sent to [email protected]
If you’d like to send in your own comments, here is a sample message:
As a parent [or teacher], I support the comments provided by the Parent Coalition for Student Privacy and urge you to make it clear in the CDPA regulations that 1- nothing in the law should weaken the stronger student privacy protections in federal and state law, including parent consent provisions and prohibition against using student data for marketing purposes; 2- that the monetization of children’s data through transfer to third parties for commercial purposes should be prohibited just as the outright sale of that data; and 3- clear and concise privacy policies and consent documents must be required, or any consent on the part of a parent or minor cannot be meaningful.
Signed with your name, address, email
PCSP Comments on regulations to implement the CDPA 9.23.24