Showing posts with label OBA. Show all posts
Showing posts with label OBA. Show all posts

Tuesday, 17 May 2011

The death of cookies or just some overdure regulation


We’ve been using behav­ioural tar­get­ing for a num­ber of years. It opti­mises media spend and ampli­fies cam­paigns to the peo­ple who count. And, if done well, your prospects won’t realise it’s hap­pen­ing. But the EU believes con­sumers need to be pro­tected and made aware of the meth­ods used to tar­get them. That’s why there’s new leg­is­la­tion com­ing into effect on 25th May.

So, what to do? Well, the gen­eral con­sen­sus out there is the fol­low­ing: If you’re adver­tis­ing through pub­lish­ers and affil­i­ate net­works you need to make users aware that you’re track­ing their behav­iour to serve tai­lored adver­tis­ing. But what’s the best solu­tion? It could get messy with mul­ti­ple alerts, pop-ups and overlays.

Well, there’s an indus­try ini­tia­tive led by the IAB seek­ing to pro­vide an ele­ment of self-regulation, with a sym­bol like this appear­ing on behav­iourally tar­geted ads.



When clicked the user will be advised on the data being cap­tured, how it is used to serve adver­tis­ing and asked for their explicit con­sent. They’re hop­ing to have this in place by the end of 2011. It seems like a sim­ple solu­tion that could work for the whole industry.

Mat­ters get a bit more com­pli­cated when you’re using cook­ies on sites that you own and admin­is­ter. The direc­tive seems to imply that you still need to makes users aware of what you’re doing. But there’s a view out there that if you’re using cook­ies to improve the user’s expe­ri­ence e.g. shop­ping cart, remem­ber­ing log-ins, pre­ferred con­tent, etc, then you don’t need to get explicit consent.

So, with the end of May loom­ing, here are a few things to start planning:

  • When adver­tis­ing after May, con­sider using the enhanced notice (icon) to gather con­sent or opt-out.
  • Appor­tion respon­si­bil­ity for data pri­vacy within the con­text of behav­ioural adver­tis­ing with pub­lish­ers and ad networks.
  • Ensure your pri­vacy pol­icy on your web­site suf­fi­ciently dis­closes the use of cook­ies and how they will be used.
  • Pro­vide a sim­ple means for users to pro­vide explicit con­sent or opt-out.
  • Con­sider mak­ing “do not track” func­tion­al­ity com­pat­i­ble with the lat­est incar­na­tions of browsers from Microsoft, Google and Mozilla.

Whilst it’s highly unlikely that the leg­is­la­tion is going to be enforced any­time soon, as respon­si­ble mar­keters, we all need to have a posi­tion on the direc­tive and a plan to ensure we don’t fall foul of the law. So, if you need a bit of advice, get in touch and we’ll point you in the right direction.