The lecture leading up to the question gave us the following: Data can be described as being quantitative or qualitative.If qualitative, it can be described as nominal or ordinal.In order to be ordinal, you must be able to order the data in a meaningful way; therefore, being able to order pins from least to greatest does not make them ordinal, I know.I am wondering though, why can't pins be described as ordinal given they can be ordered in terms of complexity, by the number of repeating digits, etc?The amended Rule of course applies to any personal information that is collected after the effective date of the Rule.Below we address, for each new category of personal information, an operator’s obligations regarding use or disclosure of previously collected information that will be deemed personal information once the amended Rule goes into effect: As discussed in additional FAQs below, the amendments to the Rule help to ensure that COPPA continues to meet its originally stated goals to minimize the collection of personal information from children and create a safer, more secure online experience for them, even as online technologies, and children’s uses of such technologies, evolve.Anchorage, Alaska Atlanta, Georgia Austin, Texas Boise, IDBoulder, Colorado Chicago, Illinois Columbus, Ohio Detroit, Michigan Honolulu, Hawaii Indianapolis, Indiana Jackson, MSKansas City, Missouri Las Vegas, Nevada Lexington, KYLos Angeles, California Manhattan, New York Memphis, TNMiami, Florida Milwaukee, Wisconsin Minneapolis, MNNashville, Tennessee Nashville, TNNew Orleans, Louisiana Oakland, California Omaha, Nebraska Phoenix, Arizona Pittsburgh, Pennsylvania Raleigh, North Carolina Rochester, New York San Jose, California Seattle, Washington St.
To verify a transaction all that matters is that the PIN entered matches the one on file, i.e.Your idea about measuring the complexity is also fine.The following FAQs are intended to supplement the compliance materials available on the FTC website. COPPA required the Federal Trade Commission to issue and enforce regulations concerning children’s online privacy.If, after reviewing the FTC’s online materials, you continue to have specific COPPA questions, please send an email to our COPPA hotline at Coppa Hot [email protected] You also may call our toll free telephone number, (877) FTC-HELP, to submit your complaint to a live operator.COPPA applies to personal information collected online by operators of both websites and online services.The Rule also applies to websites or online services that have actual knowledge that they are collecting personal information directly from users of another website or online service directed to children.The amended Rule defines personal information to include: The amended Rule, which goes into effect on July 1, 2013, added four new categories of information to the definition of personal information.Many of the educational materials on the FTC website also are available in hard copy free of charge at ftc.gov/bulkorder.The first thing you should do is read the FTC’s Children’s Privacy guidance materials.A Statement of Basis and Purpose was issued when the COPPA Rule was promulgated in 1999, and another Statement of Basis and Purpose was issued when the Rule was revised in 2012. It also applies to operators of general audience websites or online services with actual knowledge that they are collecting, using, or disclosing personal information from children under 13. COPPA SAFE HARBOR PROGRAMS Congress enacted the Children’s Online Privacy Protection Act (COPPA) in 1998.