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CARU Issues Warning About Using AI in Child-Directed Advertising and Data Collection

By Erin K. Earl, Jason Howell, Jordan Hameen & Wonji Kerper on May 20, 2024
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Key Updates:

  • On May 1, 2024, BBB National Programs’ Children’s Advertising Review Unit (CARU) issued a compliance warning stating that its Self-Regulatory Guidelines for Children’s Advertising (Advertising Guidelines) and Self-Regulatory Guidelines for Children’s Online Privacy Protection (Privacy Guidelines) apply to artificial intelligence (AI) in advertising and data collection targeted at children under 13.
  • CARU warns brands that it will strictly enforce its Advertising Guidelines and Privacy Guidelines in connection with the use of AI to protect children, who are more vulnerable to advertising and whose data collection poses special concerns.

CARU recently issued a compliance warning to put advertisers, brands, endorsers, developers, toy manufacturers, and others on notice that the Advertising Guidelines and Privacy Guidelines apply to the use of AI in advertising to and collecting personal data from children under 13. A few highlights from the compliance warning follow. Brands should:

  • Not mislead children using (1) AI-generated deep fakes; (2) simulated elements, including the simulation of realistic people, places, or things; or (3) AI-powered voice cloning techniques within an ad;
  • Not mislead children about product or performance characteristics (e.g., product depictions including copy, sound, and visual presentations generated or enhanced using AI);
  • Not use AI to mislead children into believing they are engaging with a real person;
  • Not use AI-generated imagery to create unattainable performance expectations;
  • Not mislead children about the inclusion, benefits, or features of AI technology in the products themselves;
  • Not use AI to create the impression that a celebrity or other person has endorsed a product when they have not;
  • Take measures to ensure that people depicted using generative AI reflect the diversity of humanity and do not perpetuate harmful stereotypes, prejudice, or discrimination;
  • Ensure compliance with the Children’s Online Privacy Protection Act, including by obtaining verifiable parental consent when collecting and operating personal data to use in or with AI systems; and
  • Not use children’s information in an AI system if they cannot fulfill a deletion request from a parent.

For additional information about the Advertising Guidelines, see our blog post here.

Tags: AI
Photo of Erin K. Earl Erin K. Earl

Erin Earl defends companies in high-stakes privacy and security litigation and government agency investigations, including inquiries from the Federal Trade Commission (FTC) and state attorneys general.

Read more about Erin K. EarlEmail
Photo of Jason Howell Jason Howell

Jason Howell serves as co-chair of the Advertising, Marketing & Promotions practice and as a member of the Trademark, Copyright & Media practice.

Read more about Jason HowellEmail
Photo of Jordan Hameen Jordan Hameen

Jordan Hameen is part of the firm’s Trademark, Copyright, Internet & Advertising practice.

Read more about Jordan HameenEmail
Photo of Wonji Kerper Wonji Kerper

Wonji Kerper advises companies on mitigating intellectual property risks with an emphasis on matters involving trademark, copyright, internet, and advertising.

Read more about Wonji KerperEmail
  • Posted in:
    Corporate & Commercial
  • Blog:
    Consumer Protection Review
  • Organization:
    Perkins Coie LLP
  • Article: View Original Source

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