CDD

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  • Blog

    Giant Phone + Cable ISPs ramping up “Big Data” Surveillance on Consumers

    ...Including their geolocation; shows why FCC’s new Privacy Rule is Needed.

    As the largest communications company in the world, more than 120 million customers count on us every day to deliver the wireless, Internet, data and advertising services that fuel their businesses and connect them to their world. You will find yourself connecting communications and technology with opportunities that will take you to places you never imagined. AT&T is currently seeking a Director Advanced Analytics who is a strong leader with the requisite experience and expertise in Big Data analytics solutions. The Director of Advanced Analytics leads strategy and execution for AT&T Data Patterns’ analytics services across multiple insights platforms and enterprise verticals. This role is responsible for scoping analytics projects and delivering business insights through the application of statistical techniques on complex location, multi-screen and social media datasets. This role directly manages a team of Data Scientists and Data Analysts to deliver advanced analytics services to the Enterprise market. As a leader within AT&T Data Patterns, this role interacts heavily with VPs, Executive Directors and Directors from Analytics Operations, Product Development, Sales and AT&T Big Data. Leads the development of Big Data analytics that can be delivered via APIs or UIs Develops next-generation analytic approaches where current generation approaches are not adequate Applies analytics in commercial solutions such as location based analytics, customer segmentation, customer lifecycle management, multi-screen advertising effectiveness and social influence Direct a group that gathers, analyzes, and interprets a wide variety of data to identify causal relationships, trigger points and ultimately make predictions on customer behavior Builds descriptive, diagnostic and predictive models using first and third party data, tests model results and verifies model performance Quantifies significance of data variances, applies an array of statistical methods ranging from traditional to newly-developing within the Big-Data space Uses statistical reporting packages to develop charts, tables, and other visual aids in support of findings. Advises business partners with regards to patterns and relationships in data to recommend business direction or outcomes This position has four direct reports Education: Typically possesses advanced college degree in Statistics, Mathematics and/or Computer Science or PhD in related fields and/or related expertise. Experience: Typically requires 10+ years’ related experience in advanced analytics, big data, relational database structures, research methods, sampling techniques, and system testing as well as supervisory experience. Typically possesses strong managerial skills in addition to being technically hands-on TECHNICAL Expertise in core analytics methods including predictive modeling, machine learning, text mining and unstructured data analytics, simulation, segmentation and clustering, and optimization techniques Deep user experience in data mining tools such as SAS, R, Matlab or SPSS Familiarity with a wide range of data structures, including relational databases, legacy and non-relational databases, Big Data technologies such as HDFS and Map/Reduce, XML, as well as SQL Familiarity with at least one scripting language such as Python or PHP --- For the full job description visit, https://www.linkedin.com/jobs/view/197317852 (link is external)
  • As the largest minority in the United States, Hispanics are a powerful audience. Traditionally, advertisers have reached these consumers via TV networks: In 2014, 75.9% of advertisers’ budgets went to TV ads, while only 7% was dedicated to digital. But more Hispanics watch YouTube than any cable network in the U.S. And, when they want to watch videos that help them stay connected to their Hispanic culture, they also turn to mobile. Here is new data on this audience’s online video viewing behavior. Where They Watch More than any other online platform, mobile is where Hispanics watch and engage with online video. 59% of Hispanic mobile video viewers turn to their smartphones first to watch video, which is higher than the general population. 53% of Hispanic smartphone video viewers are more likely to watch ads on their smartphone than the general population. What They Watch When watching video on smartphones, Hispanic video viewers choose content that's culturally relevant. Nearly 1 in 2 Hispanic smartphone video viewers look for video content that is relevant to them as Hispanic and are more likely to watch ads on smartphones that contain aspects of Hispanic culture. How They Watch Most self-identified U.S. Hispanics typically watch YouTube videos in English. Of those who visit the site at least once a month: 60% watch in English always/most of the time. 28% watch in English and Spanish equally. 12% watch in Spanish always/most of the time. Why They Watch YouTube is not just a source of entertainment. It also influences their purchase decisions. 75% go to YouTube first when they want to learn more about the product or service by watching a video. Of self-identified Hispanics whose purchases have been influenced by YouTube: Food & Beverages: 90% agree "YouTube helps me learn about brands and products through cooking videos, videos showing someone using/consuming a product, reviews or ads." Personal Care: 92% agree "YouTube is one of the best places to find videos from other people like me about the brand/product I am considering." Automotive: 92% agree "YouTube allows me to quickly access unbiased information about the brand/product I am considering." --- For the full article, visit http://bit.ly/2fFth08 (link is external)
  • Facebook has developed a solution to reach the US Hispanic Affinity Audience: the most mobile and socially active group in the U.S., in the language of their preference. US Hispanic Affinity audiences at a glance Large Audience 26.7M MAUs (on par with Hispanic TV networks) Mobile 25.2M MMAUs 95% access Facebook on mobile and 47% access Facebook exclusively on mobile (150 index vs. all other US audiences) Highly engaged 22.1M DAU 82.8% return to Facebook daily Over index on all key engagement metrics (e.g., comments, messages, likes, etc.) vs. all other US audiences US Hispanic Affinity Identification The US Hispanic cluster is not designed to identify people who are ethnically Hispanic. It is based on actual users who are interested in or will respond well to Hispanic content, based on how they use Facebook and what they share on Facebook. US Hispanic Affinity targeting options on Facebook US Hispanic Affinity Segment How to access: Audience > More Demographics > Ethnic Affinity > Hispanic (US-All) Language-based targeting within US Hispanic Affinity Bilingual (7M+ MAU) Spanish dominant (10M+ MAU) English dominant (9M+ MAU) How to access: Audience > More Demographics > Ethnic Affinity > Hispanic (US-All) Use these segments with other Facebook targeting solutions to further refine your audience --- For more information, see the attached PDF.
  • Being able to cap the frequency of ad delivery across multiple screens is a big desire among advertisers. It’s also why AT&T’s DIRECTV-U-verse-AT&T Wireless cross-screen addressable offering is “very intriguing,” according to Jonathan Bokor, SVP, Director of Advanced Media at Mediavest Spark. “AT&T has taken the lead and I think they’re probably the best positioned” in the cross-screen addressable race, Bokor says in an interview with Beet.TV. “The thing that I think makes it challenging for cross screen is generally, the providers are not the same and the identifiers are not the same,” he adds. For addressable TV, media agencies can avail themselves of a pay-TV company’s subscriber rolls, match those names and addresses to their target lists and do a match. By comparison, mobile devices are targeted based on ID’s, not names and addresses. “So you don’t have the same identifier that’s used to build the target list,” which makes it difficult to determine reach and frequency—particularly the latter, according to Bokor. AT&T’s edge: it has access to consumer identifiers consisting of names and addresses, plus unique device ID’s. “What we really don’t want is, on some platforms that are emerging, you see the same person just getting hit many, many, many times,” Bokor says. “And you reach a point where the person is not happy about seeing the same ad over and over again. “We need to be able to control frequency across screens and AT&T is now starting to offer that. It’s a very intriguing offering.” While Mediavest Spark hasn’t run many campaigns yet, “I think that’s going to become something that’s going to be of great interest over the next six months to a year,” says Bokor. He also hopes to be able to reach beyond just the AT&T user base. “But how you do that where two platforms that are not controlled by the same entity is a little bit more challenging,” he says. ---
  • Driving deeper connections with key audiences is the holy grail of marketing. With the boom of social media, this task has become even more complex for marketers striving to make sense of tweets, snaps, stories and likes. Today, Influential, a Data First influencer marketing platform and IBM Watson developer partner, has announced a partnership with Condé Nast to implement its Watson-enabled platform. Condé Nast will use the platform to help advertiser clients improve how they connect with audiences over social media and gain measurable insights into how their campaigns resonate. By tapping into IBM Watson, Influential is enabling Condé Nast to offer a more targeted influencer marketing platform to its advertiser clients. Influential's platform uses IBM's Personality Insights service to analyze unstructured data from an influencer's social media feed and identify key characteristics that resonate with a target demographic -- for example, a beauty brand might focus on self-enhancement, imagination and trust. This analysis helps advertisers strengthen their ability to identify the right influencers by homing in on previously hard-to-measure metrics –like how they are perceived by their followers, and how well their specific personality fits the personality of the brand. Influential's social influencers will amplify brand campaigns through the digital platforms of each publication and provide real-time reporting and insights for their advertiser clients. Along with Influential's third party demographics data partners, who help to measure a variety of different social media metrics, the platform delivers a robust and data-driven influencer identification system, driving more customized and precise campaigns for marketers and their clients. Top titles at Condé Nast that are using Influential's platform include Vogue, Vanity Fair, Glamour and GQ. "Partnering with Influential to leverage Watson's cognitive capabilities to identify the right influencers and activate them on the right campaigns gives our clients an advantage and increases our performance, which is paramount in today's distributed content world," said Matt Starker, general manager, digital strategy and initiatives at Condé Nast. "We engage our audiences in innovative ways, across all platforms, and this partnership is another step in that innovation." "We are beyond excited to be collaborating with Condé Nast as their preferred influencer marketing partner," said Ryan Detert, CEO of Influential. "They have the most sought-after and innovative portfolio of brands, and we believe that the addition of our technology platform, fueled by IBM Watson and our influencer network, will significantly bolster Condé Nast's influencer marketing efforts." --- For full article, visit http://prn.to/2cFP2vy (link is external)
  • D2 Media Sales is a joint venture between DIRECTV and DISH, and was founded in 2014 to create a scalable household addressable TV platform for political advertisers. Addressable TV advertising enables us to deliver a TV ad, in a privacy compliant manner, to the individual households of a select demographic or voter segment. We ensure the ad is seen regardless of programming or time of day, both in live or playback modes, by your exact target audience. Since 2014, the D2 Media Sales Platform has delivered hundreds of political television campaigns for both candidates and causes. Each addressable TV campaign is fueled by demographic and voter file data from leading partners, enabling us to deliver precise campaigns that reach more than 20 million households at the state, or national levels. Addressable Advertising Benefits Offers precise demographic or voter attribute targeting at the household level, with scale and flexibility Guarantees 100% of impressions reach the intended target, thus reducing waste Guarantees all impressions are served within state boundaries Impressions are only counted when the ad is viewed Optimized impression delivery, frequency and pacing Unparalleled post-delivery reporting: Overall reach & frequency Cumulative reach Impressions by hour & day of week Performance by network Addressable technology revolutionizes the way candidates and initiatives advertise. The ad finds the audience accurately vs. hoping that the right audience sees the ad where it was placed. How Addressable Television Works The set top box receivers in DIRECTV and DISH subscriber homes are like mini-computers. Demographic and voter file attributes specific to that subscriber are loaded on the box. Once an advertiser selects a target audience, we are then able to deliver a specific television commercial to that household during a commercial break when they are watching TV. The reporting that we are able to provide on the back end is more complete than anything ever seen in TV post campaign reporting. --- For more information, visit http://www.d2mediasales.com (link is external)
  • Blog

    Americans Win Significant Broadband Privacy Rights in Historic FCC Decision

    Consumers should now have greater control of their information in today’s “Big Data” era

    Statement of Jeff Chester, executive director, Center for Digital Democracy October 27, 2016: The Federal Communications Commission, led by Chairman Tom Wheeler, delivered a very early Christmas present to Americans today. For the first time, the public will be guaranteed that when they use broadband to connect to the Internet, whether on a mobile device or personal computer, they will have the ability to decide whether and how much of their information can be gathered and used by Internet Service Providers (ISPs) without first getting their consent. This is a tremendous public interest breakthrough for privacy rights in the U.S., which lags behind nearly every other democracy when it comes to protecting online privacy. Today’s decision (link is external) provides a new crucial consumer protection safeguard. When consumers use a mobile app or engage in search, that information cannot be stealthily monitored and used by their ISP without a person first agreeing it can do so (known as opt-in). Such information is classified by the commission as “sensitive” data and triggers a set of rights for the consumer. The new rule is a critical building block for better protecting our privacy in this period of growing commercial surveillance, and should significantly curtail the ability of ISPs to stealthily monitor our activities. The handful of phone and cable giants that dominate the broadband telecommunications market are increasingly using sophisticated data-mining techniques to track and analyze their customers, whether at home or—via a mobile phone—on the go. This new rule will help ensure that a consumer’s most personal information—about their finances, health, geo-location, children—will not be swept into this far-reaching apparatus. Safeguards to prevent unfair “pay-for-privacy” schemes are also part of this new FCC order—and we expect the commission to be vigilant to make sure consumers aren’t forced, because of financial circumstances, to give up their privacy. The 3-2 vote is also a rejection of the intense lobbying conducted by the phone and cable lobby, as well as by other Internet giants, to effectively kill the plan. They aggressively lobbied to weaken the FCC’s proposal, disingenuously arguing that the commission should merely adopt the Federal Trade Commission’s privacy regime. They preferred the FTC’s approach because it doesn’t have any real legal teeth, and has allowed Internet giants to freely gather and use our data without any regard to our privacy. One reason that Americans face a crisis today in terms of their loss of privacy is because the FTC has been prevented from having the regulatory authority to actually protect the public. The very same companies calling for its approach have tirelessly worked to undermine its authority, in Congress and the courts.CDD would have preferred an earlier version of the commission’s privacy proposal that didn’t make distinctions between sensitive and non-sensitive data. This is a concept that is increasingly irrelevant today, because of technological advances in “Big Data” analytics and the massive growth of consumer data across all devices, where innocuous data can be used to generate highly personal and sensitive details. But today’s FCC decision is a critical advance in protecting our information. This decision sets the stage for a long-overdue debate on the need also to protect the privacy of Americans who use other online services, including Google and Facebook. It sets a critically new privacy baseline, which should lead to action by Congress that provides strong privacy protections for all of us, regardless of the devices or online services we use. These rules also need to be applied to any plans by AT&T and Time Warner to expand their commercial data activities under their proposed merger. Finally, this victory would not have been possible without the FCC’s Open Internet decision (network neutrality). That triggered this privacy review, so that long-standing privacy safeguards when we use our telephones was brought up to date. A truly open and democratic Internet requires one that incorporates robust privacy safeguards. Today’s decision is step one in helping achieve that important goal.
  • Blog

    Time Warner's "Big Data" Cloud"--what they bring to AT&T Deal

    Most Powerful Data Co's as "Turner Broadcasting Aligns with Epsilon, Krux and Oracle to Power New Turner Data Cloud and Turner Premium Marketplace"

    Turner Broadcasting is partnering (link is external) with Epsilon, (link is external) Krux (link is external)and Oracle to enable advertisers and their agencies to connect to the Turner Data Cloud (TDC), the company’s advanced data management platform (DMP) originally announced at the company’s Upfront last month. Through these advanced third-party targeting capabilities along with Turner’s own proprietary data sources, TDC will aggregate and analyze first-and third-party data to provide advertisers, agencies and Turner itself more effective methods to reach and engage target audiences. “We are joining forces with industry-leading data and technology companies to power the Turner Premium Marketplace powered by an unrivaled central repository of data,” said Stephano Kim, Chief Data Strategist, Turner Broadcasting. “Fueling multi-screen ecosystems, Turner Premium Marketplace will enable our sales divisions to take their client conversations to a new level of insight and strategy to more effectively execute advertising campaigns across Turner’s portfolio. Brands advertising on Turner properties now have the enhanced ability to reach the most appropriate and desirable audiences across all user experiences wrapped in our premium content.” The Turner Premium Marketplace includes both digital and linear advertising campaigns across the company’s portfolio of entertainment, news, sports and kids brands. Advertisers and their agencies can choose to transact directly and programmatically depending on their unique campaign goals and business objectives. Through the Turner Data Cloud, advertisers can harness the power of their first party data in addition to third party data to effectively engage consumers and reach the right audience across Turner – a portfolio spanning television, digital and mobile platforms that reaches approximately 75% of all Americans. In addition to providing stronger advertising solutions, TDC will allow for better personalized consumer experiences across Turner’s own multiscreen brand destinations. “Turner Broadcasting is at the forefront of the evolution of content distribution,” said Andy Frawley, chief executive officer of Epsilon. “To enable the strongest possible brand experience for a consumer, it is imperative to leverage the power and value of data to drive marketing, advertising and programming to better connect the consumer’s experience and engagement. We look forward to leveraging our full suite of Big Data capabilities to support the Turner Data Cloud.” "The Turner Data Cloud is another industry-leading move by Turner, and we're proud that Krux's real-time DMP is at the center of this solution,” said Krux CEO Tom Chavez. "Through Krux, Turner is unifying people data across all channels and employing unparalleled identity management to activate highly specific audiences across linear and digital campaigns. What’s more, with Krux’s iterative learning capabilities, Turner advertisers can apply real-time campaign optimizations to drive higher conversions.” "Oracle Data Cloud (link is external) is thrilled to collaborate with Turner to help their clients understand more about consumers based on what they do, say, and buy, enabling them to personalize and measure every customer interaction in order to maximize the value of their digital marketing,” said Omar Tawakol, GM of Oracle Data Cloud. "Our relationship with Turner will allow their clients to spend confidently knowing that their ads can be reliably delivered to the right consumer across screens."
  • Center for Digital Democracy, Center for Democracy & Technology, Consumer Action, Consumer Federation of America, Consumer Federation of California, Consumers Union, Electronic Privacy Information Center, National Association of Consumer Advocates, National Consumers League, Benton Foundation, Common Sense Kids Action, and Privacy Rights Clearinghouse file this brief to highlight the potential far-reaching ramifications of this case as well as the degree to which the panel decision breaks from century-long precedent, thereby creating a sharp split among the courts of appeals.First, the panel opinion raises issues of exceptional importance. If allowed to stand, the ruling could immunize from FTC oversight a vast swath of companies that engage to some degree in a common carrier activity. This result is unprecedented, deeply disruptive to the market, and at odds with Congress’s intent. Many of the world’s largest companies offer broadband Internet or other common carriage service. These highly diverse companies could harm consumers by committing acts that are deceptive or unfair, breach privacy commitments, fail to provide reasonable security for sensitive personal data, violate any of the seventy consumer protection statutes Congress has directed the FTC to enforce, or, as in the AT&T case, deliberately omit critical information about the services a company provides – and nonetheless escape FTC enforcement. No other federal agency has authority to fill this void.Second, the panel’s decision creates a deep Circuit split by breaking from the 100-year-long understanding that the term “common carrier” is defined by activities, not status. Departing from established norms of statutory construction, the panel failed to heed settled interpretive rules requiring that exemptions from antitrust laws be construed narrowly; that remedial statutes be read broadly to effectuate their purposes; and that an agency’s interpretation of its organic statute be accorded deference. The panel’s inversion of decades of precedent creates a substantial regulatory gap and puts the Ninth Circuit directly in conflict with the D.C. and Second Circuits.---For the full argument, see the attached PDF.
  • Blog

    need-to-know 1084

    AT&T: “cross-device connections allow AT&T to understand that a single user is accessing AT&T services from multiple devices, and to synchronize content and advertising messages across those devices....”We have data coming from 35 million set-top boxes...There’s a long list of people we partner with, like Experian, Acxiom, Kantar and Polk."

    excerpt from recent interview (link is external)with Rick Welday, president of AT&T AdWorks, 13 October 2016. ...AT&T is doubling down to understand the network effect of its merged mobile carrier and pay TV footprint. And it plans to up its investment in video programming by acquiring more of the content supply chain...Cross-screen targeting is also a big imperative. AT&T just completed a series of targeting pilots to measure the impact of addressable TV ads served to 14 million AT&T-DirecTV households and 30 million associated devices….AT&T has the opportunity to be the first fully integrated carrier in the United States. You’re taking a large MVPD, pay-TV provider and a scaled mobile and broadband business and bringing them together, and that’s unique. Today, we help advertisers place an ad based on interest or demographics in any one of 14 million households regardless of what they’re watching or when, whether it’s live or on playback. ...When the DirecTV merger completed, we had 12 million addressable households. We’re now [at] nearly 14 million. For us to have grown addressable households by 2 million shows our commitment. Out of those 14 million homes, we can identify about 30 million devices that are associated and help marketers identify their target audience across them without sharing personally identifiable information. Do you have a data management platform that would help you track consumer movement? We have data coming from 35 million set-top boxes, so we have incredible first-party data capabilities. We have to have a deep technical ability and transparency with our clients about where and when the ads get placed. Clients are more interested in making sure the ad gets to their targeted audience, but we still share information about the content and day part where the ad fired. Usually the client connects their data to a safe haven, where we’d [also include] our inventory and see where there’s overlap. Then we’d render the ads. There’s a long list of people we partner with, like Experian, Acxiom, Kantar and Polk. Where do you see the most opportunity for AT&T’s mobile data subscriber set? Will it, for instance, help close the loop between location, the in-store purchase and TV viewership? Right now we’re not using data from our mobile customers, but we’re well aware of the opportunity for them to consume more video solutions and advertising within our developing video services. We’re very excited about our ability to monetize through advertising within our mobile base. How that evolves, there’s nothing further we’d forecast or announce right now. Who is AT&T’s biggest competitor right now? Is it other telcos or are you keeping an eye on platforms with a large, logged-in user base like Facebook? There’s no question Facebook and Google are competitors. There is no shortage of options for advertisers. Everybody knows a lot of money is moving to the digital space. I think, for us, when we look at wwhere the growth is, it’s clearly going toward targeted, more audience-based advertising. Even in digital, growth is not riding on the backs of display or search advertising. It’s coming from mobile video. AT&T, having acquired DirecTV with the stated purpose of being an integrated carrier that specializes and leads and innovates in mobile video, that’s a good thing for us….When the DirecTV merger completed, we had 12 million addressable households. We’re now [at] nearly 14 million. For us to have grown addressable households by 2 million shows our commitment. Out of those 14 million homes, we can identify about 30 million devices that are associated and help marketers identify their target audience across them without sharing personally identifiable information. Excerpt 2: (link is external) The cross-device implications of an AT&T/Time Warner hookup are also clear: massive reach, distribution and data. It claims to have 141.8 million wireless customers in the US and Mexico, 15.6 million internet connections and 45.5 million video connections across DirecTV and U-verse. “It’s a significant audience, especially when you bring DirecTV into the mix, being able to use that data and that deterministic linking for more relevant messaging across all of those different sources, both owned-and-operated, and being able to take that outside of O&O across multiple channels and screen,” said Adelphic CEO Michael Collins. Both AT&T and Time Warner have deterministic user data across a wide array of channels. “They have it through DirecTV, they have it through AT&T’s ISP and AT&T’s television service and they have it through Time Warner’s wide distribution,” Collins said. “That’s sticky content and a very broad audience, and it’s all done on a deterministic basis, which makes it pretty powerful. I don’t know if you’d say it’s unique, but it’s certainly highly differentiated.” AT&T is already schooled in the ways of cross-device. Its privacy policy very clearly states that it uses both Tapad and Drawbridge “to establish connections between a user’s devices and to provide behavioral targeting across devices,” noting that “cross-device connections allow AT&T to understand that a single user is accessing AT&T services from multiple devices, and to synchronize content and advertising messages across those devices.” It’s only logical that AT&T will take its cross-device program to the next level with Time Warner on board. “One would have to imagine that Time Warner and AT&T are looking to bring content and distribution together for seamless distribution and content across screens,” Collins said. “But marketing and advertising are evolving as well, and the potential combination of Time Warner and AT&T would give them knowledge, insight and the ability to deliver highly relevant advertising on behalf of advertisers.”
  • Blog

    CDD Statement on AT&T/Time Warner Deal

    "Big Data" driven merger raises threats to consumers, subscribers and competitors as mega-giant will gather our data from PCs, mobile devices and TVs

    This proposed deal raises major challenges for consumers, subscribers and competitors. It reflects the “Big Data” and digitally data-driven imperatives that are reshaping the U.S. media system. Giant broadband ISP networks, such as AT&Ts, and content providers as Time Warner, want to join together to both deliver programming and continually gather a host of information about each and every consumer. A new stranglehold is being placed on our communications landscape, as already dominant cable and telephone monopolies devour former partners or competitors (Verizon/AOL/and now Yahoo!, for example). This is all about tracking and targeting us regardless of whether we use a mobile device, PC or TV. Through the growing capability of mobile phones to follow and geo-target us everywhere we go—the supermarket, while in a car, or even on the street, these new broadband ISP/mobile/TV giants are extending their powerful digital tentacles further into our lives. While some programmers and large advertisers will benefit, the deal raises a host of consumer concerns, including about privacy. It’s no surprise that AT&T is bitterly opposed to the privacy safeguards up for a vote this coming Thursday at the FCC. They don’t want any potential new rules that empower consumers to control what they hope will be a massive influx of data they plan to monetize. Today’s announcement underscores why the FCC should pass Chairman Wheeler’s plan. Antitrust and consumer protection regulators must use a 21st Century framework that ensures that the public has a fair, diverse and equitable digital media system. Those companies that control our data--as well as the devices and applications we rely on (especially mobile)--will be formidable gatekeepers. They will be able to influence the content and communications we both receive and send. It's not to far out to see the next deal be Google/Comcast or AT&T/Time Warner/Facebook. AT&T's recent buying spree, including DirecTV (link is external), gives it a formidable cross-screen presence. As one of the handful of dominant broadband Internet Service Providers, it provides critical network connections to millions of Americans, as well as multichannel video service. It is investing to expand this empire, including video streaming (link is external) and the Internet of Things (link is external). Now it will have both Big Data and Bug Bunny, as well as HBO, CNN and a myrid of other properties. All to lure us to sit back, subscribe, view, interact with the ads on all our devices, engage with branded experiences and--yes--for this even bigger digital giant to gather and sell off our data on behalf of big brands and vested interests. statement of Jeff Chester, executive director
    Jeff Chester
  • Blog

    need-to-know 1082

    Turner Broadcasting Aligns with Epsilon, Krux and Oracle to Power New Turner Data Cloud and Turner Premium Marketplace

    Turner Broadcasting [Time Warner] (link is external) is partnering with Epsilon, Krux and Oracle to enable advertisers and their agencies to connect to the Turner Data Cloud (TDC), the company’s advanced data management platform (DMP) originally announced at the company’s Upfront last month. Through these advanced third-party targeting capabilities along with Turner’s own proprietary data sources, TDC will aggregate and analyze first-and third-party data to provide advertisers, agencies and Turner itself more effective methods to reach and engage target audiences. “We are joining forces with industry-leading data and technology companies to power the Turner Premium Marketplace powered by an unrivaled central repository of data,” said Stephano Kim, Chief Data Strategist, Turner Broadcasting. “Fueling multi-screen ecosystems, Turner Premium Marketplace will enable our sales divisions to take their client conversations to a new level of insight and strategy to more effectively execute advertising campaigns across Turner’s portfolio. Brands advertising on Turner properties now have the enhanced ability to reach the most appropriate and desirable audiences across all user experiences wrapped in our premium content.” The Turner Premium Marketplace includes both digital and linear advertising campaigns across the company’s portfolio of entertainment, news, sports and kids brands. Advertisers and their agencies can choose to transact directly and programmatically depending on their unique campaign goals and business objectives. Through the Turner Data Cloud, advertisers can harness the power of their first party data in addition to third party data to effectively engage consumers and reach the right audience across Turner – a portfolio spanning television, digital and mobile platforms that reaches approximately 75% of all Americans. In addition to providing stronger advertising solutions, TDC will allow for better personalized consumer experiences across Turner’s own multiscreen brand destinations. “Turner Broadcasting is at the forefront of the evolution of content distribution,” said Andy Frawley, chief executive officer of Epsilon. “To enable the strongest possible brand experience for a consumer, it is imperative to leverage the power and value of data to drive marketing, advertising and programming to better connect the consumer’s experience and engagement. We look forward to leveraging our full suite of Big Data capabilities to support the Turner Data Cloud.” "The Turner Data Cloud is another industry-leading move by Turner, and we're proud that Krux's real-time DMP is at the center of this solution,” said Krux CEO Tom Chavez. "Through Krux, Turner is unifying people data across all channels and employing unparalleled identity management to activate highly specific audiences across linear and digital campaigns. What’s more, with Krux’s iterative learning capabilities, Turner advertisers can apply real-time campaign optimizations to drive higher conversions.” "Oracle Data Cloud is thrilled to collaborate with Turner to help their clients understand more about consumers based on what they do, say, and buy, enabling them to personalize and measure every customer interaction in order to maximize the value of their digital marketing,” said Omar Tawakol, GM of Oracle Data Cloud. "Our relationship with Turner will allow their clients to spend confidently knowing that their ads can be reliably delivered to the right consumer across screens." About Epsilon and Alliance Data About Epsilon Epsilon is the global leader in creating connections between people and brands. An all-encompassing global marketing company, we harness the power of rich data, groundbreaking technologies, engaging creative and transformative ideas to get the results our clients require. Recognized by Ad Age as the #1 World CRM/Direct Marketing Network, #1 U.S. Digital Agency Network and #1 U.S. Agency from All Disciplines, Epsilon employs over 7,000 associates in 70 offices worldwide. Epsilon is an Alliance Data (link is external) company. For more information, visit www.epsilon.com (link is external), follow us on Twitter @ (link is external)EpsilonMktg (link is external) or call 1.800.309.0505. About Alliance Data Alliance Data (link is external)® (NYSE: ADS) is a leading global provider of data-driven marketing and loyalty solutions serving large, consumer-based industries. The Company creates and deploys customized solutions, enhancing the critical customer marketing experience; the result is measurably changing consumer behavior while driving business growth and profitability for some of today's most recognizable brands. Alliance Data helps its clients create and increase customer loyalty through solutions that engage millions of customers each day across multiple touch points using traditional, digital, mobile and emerging technologies. An S&P 500 company headquartered in Plano, Texas, Alliance Data consists of three businesses that together employ more than 15,000 associates at approximately 100 locations worldwide. Alliance Data’s Card Services (link is external) business is a leading provider of marketing-driven branded credit card programs. Epsilon (link is external)® is a leading provider of multichannel, data-driven technologies and marketing services, and also includes Conversant (link is external), the leader in personalized digital marketing. LoyaltyOne (link is external)® owns and operates the AIR MILES (link is external)® Reward Program, Canada's premier coalition loyalty program, and holds a majority interest in Netherlands-based BrandLoyalty (link is external), a global provider of tailor-made loyalty programs for grocers.
  • News

    Federal Trade Commission Must Stop “Influencer” Marketing Targeting Kids on YouTube and Other Digital Sites

    Complaint Filed Against Unfair and Deceptive Practices Used by Google, Disney’s Maker Studios, DreamWorks-Owned AwesomenessTV, and Other Companies, by Leading Advocacy Groups

    The Center for Digital Democracy (CDD), Campaign for a Commercial-Free Childhood (CCFC) and Public Citizen filed a complaint at the Federal Trade Commission (FTC) today asking for an investigation and enforcement action against Google (a subsidiary of Alphabet, Inc.), Disney’s Maker Studios, DreamWorks-owned AwesomenessTV, and two other companies for the unfair and deceptive practice of targeting “influencer” marketing toward children. The complaint documents how several marketing companies—Collab Creators, Wild Brain, Maker Studios, and AwesomenessTV—produce and distribute ads and other commercial material targeting children that masquerade as content. It also details how Google encourages and benefits from the production of child-directed influencer videos and distributes these ads to children on its YouTube and YouTube Kids platforms. These “influencer” ads take unfair advantage of kids, who do not have the ability to recognize that companies use social media and YouTube celebrities to pitch toys, junk food, and other products. The groups also called on the FTC to release policy guidance that makes clear that using influencers to persuade children to buy a product or urge their parents to buy a product is unfair and deceptive. “Child-directed influencer marketing is misleading to children because their developing brains do not process or understand advertisements the way adults do—especially advertisements disguised as content,” said Laura Moy, Director at the Institute for Public Representation (IPR) at Georgetown University Law Center, which represents the groups. Existing FTC regulations require that advertisements be disclosed as such—which many influencer ads fail to do—but the complaint also makes clear that better disclosure alone is not a sufficient remedy because it “would not negate the inherent deceptiveness of child-directed influencer marketing.” As a result of the FTC’s inaction, marketing companies—backed by Google and others—are increasing investments in their influencer marketing practices with harmful results. “In many cases these advertisements cause children to want unhealthy and costly products,” Moy pointed out. “As this marketing practice expands even while evidence mounts that it is harmful to children, it becomes increasingly urgent for the FTC to make clear that the practice is unfair and deceptive under the law.” According to the complaint, the FTC can reverse the trend of harmful influencer marketing directed toward children by issuing policy guidance that makes clear that existing laws serve as a safeguard to protect children from these advertisements. The complaint analyzes the influencer marketing apparatus, and the role that Google and so-called Multi-Channel Networks (MCNs) such as Disney’s Maker Studios play in orchestrating the growing use of this tactic. It highlights how these companies use “influencers” who are young or popular with kids to sell junk food, toys, and more. The complaint identifies highly-popular YouTube channels like EvanTubeHD, Baby Ariel, Meghan McCarthy, the Eh Bee Family, and Bratayley, each with millions of subscribers, and how they present videos of child stars unboxing toys, playing games, and enthusiastically sampling junk food. The complaint provides several examples of such videos, including one where Baby Ariel and her family sample Jelly Belly brand jelly beans as part of a game called “BeanBoozled.” In another video, on EvanTubeHD, the child influencer is seen unboxing a Lego Police Patrol Boat. Neither video indicates that it is an advertisement, and both videos can be found intermingled with non-sponsored content on YouTube Kids. Google facilitates, promotes, and solicits these videos because they are popular with children, which increases the company’s ad revenues. “It’s time for the FTC put a stop to child-directed influencer marketing,” explained CDD’s Executive Director Jeff Chester. “Companies like Google are knowingly taking advantage of children and their parents by unleashing a torrent of stealth digital ads disguised as programming supposedly suitable for kids. As the country’s leading consumer protection agency, the FTC has a mandate to protect the public—including our children—from practices we know are both unfair and deceptive.” “Parents have no idea that the adorable ‘friends’ their children like to watch unbox toys are really stealth marketers,” said CCFC’s Executive Director Josh Golin. “It’s time for the FTC to take swift and decisive action and protect children from a practice that has long been prohibited on children’s television.” “Corporate predators are using young Internet influencers, admired by kids, to hawk their wares to children, even to young children,” explained President of Public Citizen, Rob Weissman. “The marketers and the advertising platforms enabling and promoting this activity should be ashamed. But since they’re not, we need the FTC to act to end their outrageous practice.” CCFC and CDD have also previously filed complaints with the FTC concerning child-directed marketing practices on YouTube Kids and YouTube. Todays’ complaint can be found at: http://www.commercialfreechildhood.org/sites/default/files/FTCInfluencerComplaint.pdf (link is external)
  • Blog

    Groups tell FCC: We need strong rule to protect public from ISP "Big Data" DigItal Tracking of Consumers

    Protecting the Privacy of Customers of Broadband and Other Telecommunications Services

    11 organizations write a letter urging Chairman Wheeler and Commissioners to vote next week to pass strong broadband privacy rules and not to yield to industry calls to weaken the current privacy proposal. --- October 20, 2016 Re: WC Docket No. 16-106, Protecting the Privacy of Customers of Broadband and Other Telecommunications Services Dear Chairman Wheeler and Commissioners: As you approach the date to vote on a final order in the above-referenced proceeding, American Civil Liberties Union, Benton Foundation, Center for Democracy & Technology, Center for Digital Democracy, Color Of Change, Consumer Action, Consumer Federation of America, Electronic Frontier Foundation, Free Press, New America’s Open Technology Institute, and Public Knowledge urge you to take a strong stance on broadband privacy and to improve the current proposal in modest ways. In particular, the Commission must not to yield to calls from CTIA, TechFreedom, T-Mobile, AT&T, and others to severely limit the scope of covered “sensitive” information, nor otherwise weaken the privacy proposal as outlined in the fact sheet. With respect to this sensitive information determination, there are clear statutory requirements and policy rationales for setting the privacy obligations of telecommunications providers apart from and above the privacy obligations of other kinds of companies across the economy. The FCC has a mandate to protect the privacy of broadband ISP customers, and to comply with that mandate it should adopt rules that require opt-in consent to share all web-browsing history, app usage, IP addresses, and MAC addresses. Telecommunications Privacy Is Important As Title II of the Communications Act recognizes, network access providers have a heightened obligation to protect consumer privacy. The higher standard for telecommunications carriers derives from the special role of network access. Broadband access in particular is increasingly necessary for finding gainful employment, education, access to housing, and full participation in economic and civic life. It is in society’s best interest for people to use network access not only for these vitally important activities, but also as a trustworthy platform for free and unfettered First Amendment activities, including association, political speech, reading and learning, and the expression of all viewpoints, including those that are unpopular, dissenting, or held by a minority of people. Protecting the privacy, openness, and security of broadband is also of central importance to democracy and social movements. Hundreds of years ago, geography strictly limited the development and expansion of communities. Friendships, coalitions, and associations rose up and grew on a local basis—as many do today. But today, thanks to the power of the internet, not only do we build communities in cities and neighborhoods; we also build communities that leap across deserts and oceans, that cross borders and aren’t defeated by time zone shifts and language barriers. It is difficult to imagine Occupy Wall Street, Black Lives Matter, or the Arab Spring without the power of the internet. To protect and uphold the internet as this crucially important platform for both expression, association, and economic activities, we must minimize privacy concerns by ensuring that network access providers are subject to the highest privacy obligations, as the law requires. Privacy concerns can chill both adoption and use of the internet. As a 2010 FCC survey found, 57% of Internet non- adopters felt online activities made it too easy for theft of personal information. The FCC concluded in the National Broadband Plan that concerns about online privacy and security “may limit [consumers’] adoption or use of broadband.” More recently, NTIA reported that 45% of households limited their online activities because of privacy and security concerns. And in January, focus groups examining adoption challenges in Portland, Oregon universally raised privacy concerns. We want people to get connected, and we want them to use the internet without fear that the things they do and say online will be shared, sold, and exploited without their knowledge or otherwise used against them. In no event should people have to choose between protecting privacy and getting online. Telecommunications Providers Have Special Insight into Our Private Lives Broadband privacy is also of particular importance because, as gatekeepers to the network, telecommunications providers are uniquely positioned to gain insight into the private lives and communications of their customers. In the words of former FCC Commissioner Michael Copps, ISPs “collect extensive information about all of their customers, including location, web browsing and app use history, when and with whom they communicate, and even the content of those communications.”10 He noted, “In short, nearly everything a consumer does online is visible to his or her ISP.” Indeed, consumers have no choice but to share intimate details about their most private activities with their ISP. Just as we have to tell the postal service who we write to, when, and how often—just as we have to tell phone companies similar details about our calls—we have to tell ISPs where we go, what we say, and what we read online so they know how to direct Internet traffic. This is of particular concern as the Internet of Things expands, and data regarding network use may reveal information about the types of connected devices consumers have in their homes, and when, how often, and how much those devices are used. Nor does the growth of encryption protect consumers’ online activities from their ISPs. Truly pervasive encryption may never happen, and even if it does, it is still a long way off. Moreover, as privacy law expert Paul Ohm recently testified before Congress: "Even for user visits to websites that deploy encryption, a BIAS provider retains a significant ability to observe. When you visit a website protected by the most widespread form of encryption in use, https or http over TLS, even though your BIAS provider cannot tell which individual page you are visiting on the website, it still can tell the domain name of the website you are communicating with, how often you return, roughly how much data you send and receive, and for how long each visit lasts." Despite ISPs downplaying the window they have into their customers’ online activities, there is no question that they are well-positioned to learn a great deal about their customers’ lives. The FCC Should Not Replicate the FTC’s Approach The heightened privacy obligations set forth by Congress in Title II of the Communications Act establish the legal basis, just as the importance of network access and unique nature of network providers’ insight into private lives establish the policy basis, for the FCC to promulgate strong privacy rules for broadband providers. In recent weeks, however, a number of industry commenters appear to have fundamentally misunderstood or underestimated the justifications for strong broadband privacy rules. Several do not seem to understand that these justifications mandate a stronger broadband privacy framework than the general privacy protections enforced by the FTC for the rest of the online ecosystem. For example, TechFreedom suggests that “the FCC follow the FTC’s substantive approach” and interpret the FCC’s various authorities under the Communications Act similarly to how the FTC has interpreted its § 5 authority. The Future of Privacy Forum asserts, “the FCC has an opportunity to make distinctions that reinforce the FTC’s standards.” But the Communications Act and the FTC Act protect privacy in different ways and for different reasons. As privacy advocates have previously written, quite obviously the FCC is not the FTC, the Communications Act is not the FTC Act, and § 222 of the Communications Act is not § 5 of the FTCA. In contrast to the heightened and specific privacy protections set forth in § 222, the FTC’s privacy approach stems from its broad consumer protection authority and its general mandate. In the FTC’s own words, “no other federal agency has the FTC’s breadth of authority to protect consumers from many unfair or deceptive practices across the economy and to obtain redress for consumer harm.” In contrast, the task before the FCC is not to set a baseline for all consumer privacy across the entire information ecosystem, but to enact strong and specific privacy protections for telecommunications customers. Therefore the idea that the FCC should “follow” or “reinforce” the FTC’s privacy approach makes no sense, and the FCC should not do so. Conclusion The below-signed organizations appreciate the hard work this Commission has done and is doing to protect consumer privacy. We urge you to vote next week to pass strong broadband privacy rules, and not to yield to industry calls to weaken the proposal. The legal and policy reasons for heightened consumer privacy protections for telecommunications customers are clear. Sincerely, American Civil Liberties Union Benton Foundation Center for Democracy & Technology Center for Digital Democracy Color Of Change Consumer Action Consumer Federation of America Electronic Frontier Foundation Free Press New America’s Open Technology Institute Public Knowledge --- See full letter attached.
    Jeff Chester
  • Blog

    Verizon's AOL’s Kline Sees Location-Based Mobile As ‘Untapped Frontier’

    “flywheel” of data-driven advertising and content under the Verizon umbrella.

    COLOGNE-To the world at large, the fate of Yahoo had been a long-running saga that seemed like it would never end. But to AOL CMO Allie Kline, the deal joining AOL and Yahoo is a big momentum boost for the “flywheel” of data-driven advertising and content under the Verizon umbrella. With Verizon (link is external) already having scooped up some of the biggest and most powerful content brands, “The potential acquisition of Yahoo that only increases our footprint on the brand side,” Kline said in an interview with Beet.TV in mid September at the annual DMEXCO (link is external) conference and exposition. Combining content capabilities with data-driven technology platforms, “you really start to think about the possibility of data-driven content, data-driven advertising and that ecosystem just continuing. We call it the flywheel,” Kline (link is external) said. AOL, which considers mobile to be “a horizontal layer underneath both content and technology,” sees vast potential in the enlarged company’s ability to have technology inform decisions on which content to show on which devices. The personalization that can happen on mobile is optimized by the “unprecedented” Verizon subscriber base, according to Kline. “So we really see that as a strong competitive advantage going forward, particularly in areas like location-based data, which we see as an untapped frontier,” said Kline. On the content side, Kline cites the reach and engagement of properties like Huffington Post and Engadget (link is external). The addition of Yahoo’s news, finance, sports and other brands will add more spin to the freewheel. Once the Yahoo merger is done, the challenge will be “To be able to figure out how to put this combination of assets together and how to tap into the network of publishers and brands that we partner with in order to achieve great scale without compromising premium content,” Klein said.
  • Cross-Device Privacy Must be Protected by FCC Proposed Rule on Broadband ISPs

    Geolocation & Cross Platform and Application Data is Sensitive information. AT&T expands cross-device targeting

    ... ISPs are engaged in cross-device tracking of its subscribers and customers which allow them to target advertising at the individual and household level. Exemplary for all ISPs, we are highlighting AT&T’s efforts in this area. AT&T is expanding its cross-device tracking in order to target individuals on their mobile device after collecting and analyzing their data using the company's internal data and analytics capabilities. In a recent interview, AT&T AdWorks President Rick Welday explained that by the end of this year AT&T will allow marketers to “advertise in 14 million addressable households, 30 million mobile devices and millions of streams within the DirecTV app.” While AT&T may claim that its cross-device tracking is done “anonymously,” that is merely a euphemism to obscure the invasion of privacy that underlies such practices. Mr. Welday explains that AT&T’s data-driven monitoring of its customers enables it to develop dossiers that reveal whether their users are a new homeowner, a new parent, or in the market for an automobile. In its trials with cross-device targeting, AT&T worked with leading Fortune 100 brands as well as promoting its own “AT&T Mobility Wireless” service. The Fortune 100 companies that AT&T worked with likely provided their own so-called first-party data to be used for such cross-device targeting. This illustrates the operational realities today for consumer profiling data, where data are no longer shared with advertisers, but rather advertisers provide such data to ad-delivery platforms (such as AT&T's) for increasingly granular targeting.[3] Linking devices (and the application history on and geolocation on of those devices) to a particular consumer via a unique identifier should be prohibited, unless the ISP has obtained affirmative, express consent (opt-in). The rule’s definition of ‘sensitive information’ must therefore reflect industry practices and include any data elements that allow for this kind of cross-device tracking. The final rule must give ISP customers control over their data, and before companies can proceed with targeted advertising, they must obtain an opt-in consent from their customers. We are particularly concerned that without such safeguards the rules would allow for a by-passing of requirements of the Children’s Online Privacy Protection Act, by using insights gained via cross device tracking to target children without parental consent. Finally, we urge the Commission to affirm in its final rule the need for safeguards against any unauthorized attempts to re-link devices (and its app usage history and geolocation information) to associate them with one user. CDD respectfully urges the FCC to enact its proposed safeguards as soon as possible to help address the further eroding of Americans’ privacy by ISPs.
  • Blog

    need-to-know 1076

    Programmatic Applied to Kids Market; Not Truly "COPPA Friendly"

    Announcing REX: the world’s first kid-safe programmatic exchange Today (link is external)marks a major milestone in the kids digital media industry. We’re extremely pleased to announce the launch of REX, the world’s first kid-safe, COPPA-compliant programmatic exchange. COPPA and GDPR forbid profile or cookie-based targeting which has, until now, removed all programmatic options (and hence automation) from the kids industry. Part of AwesomeAds (our kid-safe ad server) REX guarantees that all automated ad requests are 100% kid-safe and COPPA/GDPR compliant. For the first time ever, REX makes it possible for advertisers across the world to programmatically reach the kids audience in a fully compliant, 100% kid-safe way. The kids space hasn’t had this capability (in any compliant sense) until now. REX genuinely shifts the entire industry forward. How does it work? At this point, our engineering team (about a third of the company) is probably the most experienced technical team in the global digital kids’ sector. This was a pretty helpful starting point. REX acts as a comprehensive kid-safety filter; it removes all non-compliant elements from each ad tag to ensure nothing can track users, before placing every creative through our ad content review process. Only then is it served through our COPPA-certified AwesomeAds platform, earning our SAFE AD watermark. Explained by our Chief Product Officer, Joshua Wohle: “REX inserts itself between the publisher and the exchange, taking the role of a firewall. It inspects the requests going out, stripping it from any PII before sending it through to the exchange. The exchange then considers the request and buyers can start bidding on the inventory. Once the winning bid is returned to the publisher, REX again intercepts it and removes any trackers that could be collecting PII before sending it on to the publisher. All of this happens in real-time, allowing for a full programmatic flow whilst ensuring compliance to all parties involved.” In order to bring this unique offering to the kids industry, we’re working alongside Rubicon, one of the biggest programmatic exchanges in the world. They provide real-time bidding and integration with all buyer systems across the globe. Combining our infrastructure in kid-safe technology and our exclusive kids inventory with their real-time bidding architecture, we are able to open up programmatic to the world’s biggest trading desks and DSPs across the kids market.
  • Blog

    CDD Welcomes FCC Chairman Wheeler’s Broadband Privacy Proposal

    Provides Key New Safeguards for ISP Customers’ Privacy

    Washington, DC: Federal Communications Commission Chairman Tom Wheeler announced today (link is external) that he is circulating a broadband ISP privacy proposal to the other four FCC Commissioners detailing a plan that would provide individuals with key safeguards regarding their data. The proposal is designed to help implement the FCC “Open Internet” order to ensure that ISPs respect the privacy of communications over broadband and mobile networks. The following can be attributed to Katharina Kopp, Deputy Director, Center for Digital Democracy: We laud the timely development of a rule that would require ISP customer permission before much of their personal information may be used or shared. This proposal offers consumers the much needed safeguards and desired control over their own personal information. For the first time, ISPs would have to obtain customer consent for the use of web browsing and app usage history for advertising purposes. Given the unique position of ISPs as gatekeepers to vast amounts of customer data, the FCC’s proposed broadband privacy rule is a critical step in preserving a free and open Internet into the 21st century. Because we know that ISPs’ big data analytical capabilities can turn seemingly non-sensitive information into highly private information about our lives, and because all our browsing data and the content of our communications is incredibly sensitive to begin with, we had asked the FCC to avoid drawing distinctions between “sensitive” and “non-sensitive” categories of information. Still, we believe that the proposal’s framework can work for consumer privacy provided the FCC’s definition of “sensitive” is robust and meaningful. We will work to ensure this proposal is effectively implemented and that ISP broadband consumers receive the privacy protections they deserve. The Center for Digital Democracy is a leading nonprofit organization focused on empowering and protecting the rights of the public in the digital era.
  • Blog

    Introducing Salesforce Einstein–AI for Everyone

    Artificial Intelligence Uses Big Data for 1:1 consumer targeting/Privacy & Consumer Protection?

    Apple’s Siri analyzes thousands of movie showings and surfaces recommendations for the best times and theaters based on my location within seconds. Spotify knows my music preferences and curates personalized playlists for me. Facebook instantly recognizes my friends in photos and suggests tags with nearly 98 percent accuracy (link is external). All of this is made possible by artificial intelligence (AI)–complex and highly technical solutions such as natural language processing, deep learning and machine learning that when applied to everyday actions in our personal lives make us smarter and more productive. Today, Salesforce is delivering Salesforce Einstein–artificial intelligence for everyone. For many companies, the technical expertise, infrastructure and other resources required to deliver AI solutions is too significant to leverage in their enterprise applications. But in keeping with Albert Einstein's dictum that the definition of genius is taking the complex and making it simple, Salesforce Einstein is removing the complexity of AI, enabling any company to deliver smarter, personalized and more predictive customer experiences. Salesforce Einstein is a set of best-in-class platform services that bring advanced AI capabilities into the core of the Customer Success Platform, making Salesforce the world’s smartest CRM. Powered by advanced machine learning, deep learning, predictive analytics, natural language processing and smart data discovery, Einstein’s models will be automatically customized for every single customer, and it will learn, self-tune, and get smarter with every interaction and additional piece of data. Most importantly, Einstein’s intelligence will be embedded within the context of business, automatically discovering relevant insights, predicting future behavior, proactively recommending best next actions and even automating tasks. With Einstein, the world’s #1 CRM is now the world’s smartest CRM and we’re bringing intelligence to all of our clouds. But don’t take my word for it. See below to hear from our Cloud GMs about what Einstein (link is external)means for all our clouds. Sales Cloud Einstein (link is external) Service Cloud Einstein (link is external) Marketing and Analytics Cloud Einstein (link is external) Community Cloud Einstein (link is external) IoT Cloud Einstein (link is external) App Cloud Einstein (link is external) We couldn’t be more excited to finally unveil Salesforce Einstein after two years of hard work and targeted acquisitions. As we continue to build out AI for CRM, we are committed to understanding the next generation of AI technology and how it can best be applied to Salesforce. This effort will be led by Salesforce Research, a new research group focused on the future of AI, under the leadership of Dr. Richard Socher, our Chief Scientist.
  • Fourteen organizations urge FTC Chairwoman Ramirez to put a stop to WhatsApp’s plan to transfer user data to Facebook. This letter coincides with recent complaint filed, concerning the violation of commitments WhatsApp previously made to its subscribers. --- September 22, 2016 Dear Chairwoman Ramirez and FTC Commissioners: The undersigned consumer privacy organizations write in support of the complaint the Electronic Privacy Information Center (“EPIC”) and the Center for Digital Democracy (“CDD”) recently filed concerning WhatsApp’s plan to transfer user data to Facebook in violation of commitments the company previously made to subscribers. We are deeply concerned about the impact this proposed change in data practices will have on the privacy and security of WhatsApp users in the U.S. and across the world. We urge the FTC to investigate this matter and to fulfill its obligation to prevent WhatsApp and Facebook from engaging in unfair and deceptive trade practices. WhatsApp has over one billion users worldwide, and its popularity has been due in large part to its strong public commitment to privacy. The company has long made its pro-privacy commitment a key part of its brand, underscored by numerous public statements and official blog posts on the importance of confidential communications. When Facebook acquired WhatsApp in 2014, both companies made numerous promises to the public and to the FTC that WhatsApp’s data privacy practices would not change. Consumer privacy organizations raised concerns about the acquisition, and the Commission responded with a clear warning that the companies must continue to honor their privacy promises to WhatsApp users or risk violating Section 5 of the FTC Act. The Commission stated the companies must obtain “affirmative consent” from WhatsApp users before materially changing its practices for information it collected before the merger. The FTC stated at the time that “WhatsApp must continue to honor these promises to consumers. Further, if the acquisition is completed and WhatsApp fails to honor these promises, both companies could be in violation of Section 5 of the Federal Trade Commission (FTC) Act and, potentially, the FTC’s order against Facebook.” The FTC has previously interpreted affirmative consent to require opt-in consent, particularly in the context of material retroactive changes to privacy promises. On August 25, 2016, WhatsApp announced plans to use and transfer customer data, including users’ verified telephone numbers, to Facebook for user profiling and targeted advertising. WhatsApp previously collected phone numbers and other personal information from over one billion users with the promise that this information would not be used or disclosed for marketing purposes. WhatsApp’s reversal on this promise is a material, retroactive change that will apply to previously collected data. Contrary to FTC policy, WhatsApp does not intend to provide clear notice or obtain customers’ affirmative express consent – i.e., opt-in consent – before implementing these changes for previously collected information. Rather, these material, retroactive changes are buried in WhatsApp’s lengthy revised privacy policy and consumers have 30 days to opt-out. European authorities have already begun investigating WhatsApp’s reversal on the privacy promises it made when seeking regulatory approval of Facebook’s acquisition of the messaging service. European Union Competition Commissioner Margrethe Vestager has indicated the EU is reconsidering its approval of WhatsApp’s 2014 merger with Facebook. Vestager stated that the companies’ promises not to merge user data was “a part of the decision [to approve the merger] so therefore we’re asking some follow-ups to find out what’s going on.” WhatsApp plans to make material, retroactive changes to its numerous privacy promises regarding the use and disclosure of user data without first obtaining users’ affirmative express consent. This is exactly what the FTC said WhatsApp and Facebook cannot do. It is a clear violation of the prohibition on unfair and deceptive trade practices the FTC is obligated to enforce under Section 5 of the FTC Act. We urge the Commission to fulfill its duty to protect consumer privacy, and to investigate and enjoin WhatsApp and Facebook’s proposed change in business practices. We appreciate your attention to this important matter. Sincerely, Bill of Rights Defense Committee & Defending Dissent Foundation Center for Digital Democracy Center for Financial Privacy and Human Rights Common Sense Kids Action Constitutional Alliance Consumer Action Consumer Federation of America Consumer Watchdog Cyber Privacy Project Demand Progress Electronic Privacy Information Center The FoolProof Foundation Patient Privacy Rights Privacy Rights Clearinghouse Privacy Rights Now Coalition Privacy Times U.S. PIRG ---