FERPA and COPPA Privacy Notice and Privacy Notice for Children
Effective Date: March 8, 2024
FERPA and COPPA Privacy Notic
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Privacy Notice FERPA and COPPA Privacy Notice and Privacy Notice for Children FERPA and COPPA Privacy Notice Hantteam Privacy Notice for Children Information We Collect Directly Automatic Information Collection and Tracking How We Use Your Child's Information Our Practices for Disclosing Children's Information Operators That Collect or Maintain Information from Children.
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FERPA and COPPA Privacy Notice and Privacy Notice for Children
Effective Date: March 8, 2024
FERPA and COPPA Privacy Notice
Children under the age of 18 shall only use the Services as an Invitee and under the supervision of their parent/guardian or school/educator and are specifically prohibited from the use of the Services otherwise. The Services are not intended for use by children as Users and are not intended for Children to create Hantteam accounts. If Customer is a school or educator in the United States and wants its students to use the Services as an Invitee, Customer is and shall be responsible for complying with the U.S. Family Educational Rights and Privacy Act ("FERPA") and Children’s Online Privacy Protection Act of 1998 and its rules (collectively, “COPPA”).
To the extent that Hantteam has access to “education records,” as defined by the Family Educational Rights & Privacy Acts of 1974 and its implementing regulations (“FERPA”), it is deemed and shall function as a “school official” with “legitimate educational interests” when fulfilling its responsibilities under this Agreement, and both parties agree that Customer has “direct control” over the use of “education records” as these terms are defined under FERPA. Hantteam agrees to comply with its obligations under FERPA, including but not limited to the limitations on re-disclosure of personally identifiable information from education records set forth in FERPA and with the terms set forth below.
This means Customer shall notify those students' parents/guardians of the personally identifiable information that it will collect and share with Hantteam and obtain parental/guardian consent before its students use the Services. When obtaining such consent, the Customer shall provide parents/guardians with a copy of our Privacy Policies. Customer must keep all consents on file and provide them to us if we request them. Additionally, Customer shall be responsible for verifying the student-parent relationship and shall be responsible for compliance with the right of a parent to review personal information provided by the child. Customer shall comply with such requirements by using the appropriate features in the Services to address any data subject request for the aforementioned data, or any changes to such data requested by parent, and providing the data to the parent after verification of the student-parent relationship. Hantteam will assist Customer with any such request to the extent Customer is unable to act on the request itself using the Services. If Customer is located outside of the United States, Hantteam shall rely upon Customer and Customer shall obtain any required consents or approvals from the parent or guardian of any student covered by similar laws and, as a condition to Customer's and its students' use of the Services, Customer shall comply with such laws.
Hantteam Privacy Notice for Children
The Children's Online Privacy Protection Act of 1998 and the U.S. Family Educational Rights and Privacy Act ("FERPA") and their rules (collectively, "COPPA") require us to inform parents and legal guardians (as used in this policy, "parents") about our practices for collecting, using, and disclosing personal information from children. It also requires us to obtain verifiable consent from a child's parent for certain collection, use, and disclosure of the child's personal information.
This section notifies parents of:
This policy only applies to children and supplements the Hantteam Privacy Notice. The Hantteam Privacy Notice applies to adults.
Terms that are defined in the Hantteam Privacy Notice have the same meanings as used in this Privacy Notice for Children.
Information We Collect from Children
We collect information about you directly from you and automatically through your use of our Services as an Invitee. Hantteam’s Services do not include making children’s personal information publicly available. The Services are not intended to be used by children under age 18 as Users. In order to help you protect yourself and your information, we encourage you to provide only that information that is necessary for using our Services. We encourage parents to educate their children about safe internet use and to monitor their children's use of the internet. Hantteam has established and will maintain reasonable procedures to protect the confidentiality, security, and integrity of personal information collected from children as described in the Hantteam Privacy Notice.
Information We Collect Directly
The only information necessary to collect from a child to schedule a meeting using the Services as an Invitee is a name, email address, date, and time.
Automatic Information Collection and Tracking
Information Collected Automatically from You
We and our authorized third parties use Cookies, pixels, web beacons, and other technologies to receive and store certain types of information when you interact with us through your computer or mobile device (subject to your consent, opt-out preferences or other appropriate legal basis where legally required). Using these technologies helps us customize your experience with our Website and Services, improve your experience, tailor marketing messages, and help us detect and prevent fraud and security risks. Here is more specific information about the types of information we collect:
Third-Party Tools
We may disclose information to third parties or allow third parties to directly collect information using these technologies on our website, such as social media companies, advertising networks, companies that provide analytics including ad tracking and reporting, security providers, and others that help us operate our Services and Website. We use such third-party tools subject to your consent, opt-out preferences, or other appropriate legal basis where legally required. For example, we use third-party providers such as Google Analytics to provide certain analytics and Visitor interactions services to Hantteam in connection with our operation of our website, including the collection and tracking of certain data and information regarding the characteristics and activities of Visitors to the Hantteam Website. To learn how Google Analytics collects and processes data, please visit: “How Google uses data when you use our partners’ sites or apps” located at https://google.com/policies/privacy/partners. We also use session replay, session recording, and similar tools provided by third party Service Providers (as defined below) to record your interactions with our website, such as how you move throughout our website and engage with our webforms. In addition to analytics, this information helps us improve our Website and Services, our marketing activities, and identify and fix technical issues visitors may be having with our website.
Certain third-party tools may not be opted out of and are essential to our service. For example, Hantteam has implemented Google reCAPTCHA Enterprise to help prevent spam and abuse. reCAPTCHA Enterprise collects hardware and software information, such as device and application data, and sends it to Google for purposes of providing, maintaining, and improving reCAPTCHA Enterprise and for general security purposes. This information is not used by Google for personalized advertising. Your use of reCAPTCHA Enterprise is subject to Google’s Privacy Policy and Terms of Use.
We only collect as much information about a child as is reasonably necessary for the child to schedule a meeting, and we do not condition his or her participation on the disclosure of more personal information than is reasonably necessary.
We also may combine non-personal information we collect through these technologies with personal information about you or your child that we collect online.
For information about our automatic information collection practices, including how you can opt out of certain information collection, see the Hantteam Notice.
How We Use Your Child's Information
We may use information that we collect about you, including Personal Data, to:
Our Practices for Disclosing Children's Information
We do not share, sell, rent, or transfer children's personal information other than as described in this section.
We may disclose aggregated information about many of our users, and information that does not identify any individual or device. In addition, we may disclose children's personal information:
In addition, if Hantteam is involved in a merger, divestiture, restructuring, reorganization, dissolution, or other sale or transfer of some or all of Hantteam's assets, whether as a going concern or as part of bankruptcy, liquidation, or similar proceeding or event, we may transfer the personal information we have collected or maintain to the buyer or other successor.
Accessing and Correcting Your Child's Personal Information
At any time, you may review the child's personal information maintained by us, require us to correct or delete the personal information, and/or refuse to permit us from further collecting or using the child's information.
You can review, change, or delete your child's personal information by sending us an email at privacy@hantteam.com To protect your privacy and security, we may require you to take certain steps or provide additional information to verify your identity before we provide any information or make corrections.
Operators That Collect or Maintain Information from Children
Please direct your inquiries about any operator's privacy practices and use of children's information, write to us at:
Attn: Privacy Department
Hantteam, Inc.
115 E Main St., Ste A1B
Buford, GA 30518
USA