U.S. privacy
A privacy channel for every state.
You can contact us from any jurisdiction. Legal rights and exemptions vary; our request channel is not limited to a list of selected states.
A common baseline
Residents of every state, D.C. and U.S. territories may request access, correction, deletion or restricted publication, and raise an objection or appeal. This voluntary request process does not assert that every jurisdiction has the same privacy statute or that every statute applies to this service. Mandatory rights always take precedence.
Submit a privacy request or appeal. No account is required, and authorized agents may contact us. A refusal must explain its basis and the applicable review or complaint path. Public availability is assessed for the particular source and law, not treated as a universal exception.
California
Where the CCPA/CPRA applies, rights include knowing and accessing personal information, correcting it, requesting deletion, opting out of sale or sharing, limiting certain sensitive-information uses, and protection against discrimination. This version does not sell or share personal information for cross-context behavioral advertising. It recognizes Global Privacy Control in the choices interface.
The data-broker registration and DROP rules require a separate assessment of the operator’s actual activities and statutory definitions. No claim of exemption or completed registration is made by this service. California Attorney General · CPPA data-broker requirements · DROP.
Other state privacy rights
State laws can provide access, correction, deletion, portability, opt-outs for targeted advertising, sale or certain profiling, and an appeal of a denied request. Definitions, thresholds, exemptions, verification and deadlines differ. We preserve any applicable right even if it is not individually listed here.
The service does not offer personal eligibility decisions, sensitive-data profiling, targeted advertising or personal-data exports. Introducing such uses would require a new legal and technical review before release.
Additional transparency rights
Where applicable, you may request the categories or identities of recipients of your personal data, including specific third-party lists provided for by state law. We do not conduct automated personal eligibility decisions; any applicable right to understand or challenge such profiling is preserved. Our privacy policy identifies the operator, collected categories, purposes and service providers. We do not sell visitor or request data.
Minnesota privacy rights · Maryland privacy rights · Rhode Island transparency rules.
Separate data-broker rules
California, Texas, Oregon and Vermont have data-broker frameworks that must be evaluated independently of general privacy notices. Whether they apply depends on the data and actual practices. Publishing a privacy page is not registration.
Appeals and complaints
Reply to a decision with “Privacy appeal” and explain why it should be reconsidered. You may complain to the competent state Attorney General or privacy regulator; a complaint need not wait for our internal process where the law permits it. Find your state Attorney General through USA.gov.
Geographic scope of our request channel
Alabama · Alaska · Arizona · Arkansas · California · Colorado · Connecticut · Delaware · Florida · Georgia · Hawaii · Idaho · Illinois · Indiana · Iowa · Kansas · Kentucky · Louisiana · Maine · Maryland · Massachusetts · Michigan · Minnesota · Mississippi · Missouri · Montana · Nebraska · Nevada · New Hampshire · New Jersey · New Mexico · New York · North Carolina · North Dakota · Ohio · Oklahoma · Oregon · Pennsylvania · Rhode Island · South Carolina · South Dakota · Tennessee · Texas · Utah · Vermont · Virginia · Washington · West Virginia · Wisconsin · Wyoming · District of Columbia · Puerto Rico · Guam · U.S. Virgin Islands · American Samoa · Northern Mariana Islands.
European rights can still apply
A U.S. server does not itself remove GDPR obligations for an operator established in the EU. Where GDPR applies, rights include access, rectification, erasure, restriction, objection and portability under their respective conditions, with an initial response deadline of one calendar month. CNIL: rights of the data subject.