Age verification: Difference between revisions
m added EU to the affected countrys by the OSA, even doe not UK based. |
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The Online Safety Act is already exerting extraterritorial control through the age‑verification and validation changes it prompts, which are being implemented in the U.S. even though those companies customer bases are not at all subject to UK law, even Europeans that are also not under UK law are affected. This stems from the Act’s vague, overly broad language requiring companies to comply whenever users are located in the UK. Because the law effectively ignores national borders, non‑UK companies face only two options: geo‑block affected content for UK users or apply the same verification measures globally. | The Online Safety Act is already exerting extraterritorial control through the age‑verification and validation changes it prompts, which are being implemented in the U.S. even though those companies customer bases are not at all subject to UK law, even Europeans that are also not under UK law are affected. This stems from the Act’s vague, overly broad language requiring companies to comply whenever users are located in the UK. Because the law effectively ignores national borders, non‑UK companies face only two options: geo‑block affected content for UK users or apply the same verification measures globally. | ||
Geo‑blocking would severely disrupt services and business relationships that where already in place with UK customers before the Online Safety Act, so many companies choose to implement the changes for all users resulting in practical overreach beyond the UK. A reason for this is Ofcoms<ref>{{Cite web |date=2025-01-31 |title=What is Ofcom? |url=https://www.ofcom.org.uk/about-ofcom/what-we-do/what-is-ofcom |url-status=live |access-date=2026-04-07 |website= | Geo‑blocking would severely disrupt services and business relationships that where already in place with UK customers before the Online Safety Act, so many companies choose to implement the changes for all users resulting in practical overreach beyond the UK. A reason for this is Ofcoms<ref>{{Cite web |date=2025-01-31 |title=What is Ofcom? |url=https://www.ofcom.org.uk/about-ofcom/what-we-do/what-is-ofcom |url-status=live |access-date=2026-04-07 |website=[[Ofcom]]}}</ref> statutory powers to require platforms to use “accredited technology” to detect illegal content. As such systems would have to be implemented onto all the content this again would be an overreach of their precieved authorities. Companys that do not comply are already beeing fined for this. | ||
Even if the UK Government has “paused” its demand for implementing “accredited technologys” there is no practical way to meet the vague requirement set out by Ofcom in the Online Safety Act. The proposal ignores that smaller companies would likely be forced to close under the financial burden of compliance, producing a sterilized market with reduced competition only firms with deep pockets can comply. That still does not prevent Ofcom from fining companies that fail to comply. | Even if the UK Government has “paused” its demand for implementing “accredited technologys” there is no practical way to meet the vague requirement set out by Ofcom in the Online Safety Act. The proposal ignores that smaller companies would likely be forced to close under the financial burden of compliance, producing a sterilized market with reduced competition only firms with deep pockets can comply. That still does not prevent Ofcom from fining companies that fail to comply. | ||
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Examples: | Examples: | ||
Webpage 4chan: | Webpage 4chan<ref>{{Cite web |date=2025-06-10 |title=Investigation into 4chan and its compliance with duties to protect its users from illegal content |url=https://www.ofcom.org.uk/online-safety/illegal-and-harmful-content/investigation-into-4chan-and-its-compliance-with-duties-to-protect-its-users-from-illegal-content |url-status=live |website=[[Ofcom]]}}</ref> | ||
https://www.ofcom.org.uk/online-safety/ | AVS GROUP LIMITED<ref>{{Cite web |date=2025-07-31 |title=Investigation into AVS Group Ltd’s compliance with the duty to prevent children from encountering pornographic content through the use of age assurance |url=https://www.ofcom.org.uk/online-safety/protecting-children/investigation-into-avs-group-ltds-compliance-with-the-duty-to-prevent-children-from-encountering-pornographic-content-through-the-use-of-age-assurance |url-status=live |website=[[Ofcom]]}}</ref> | ||
The provider of Im.ge<ref>{{Cite web |date=2025-06-10 |title=Investigation into the provider of Im.ge and its compliance with duties to protect its users from illegal content |url=https://www.ofcom.org.uk/online-safety/illegal-and-harmful-content/investigation-into-the-provider-of-im.ge-and-its-compliance-with-duties-to-protect-its-users-from-illegal-content |url-status=live |website=[[Ofcom]]}}</ref> | |||
Youngtek Solutions Ltd<ref>{{Cite web |date=2025-09-11 |title=Investigation into Youngtek Solutions Ltd’s compliance with the duty to prevent children from encountering pornographic content through the use of age assurance |url=https://www.ofcom.org.uk/online-safety/protecting-children/investigation-into-youngtek-solutions-ltds-compliance-with-the-duty-to-prevent-children-from-encountering-pornographic-content-through-the-use-of-age-assurance |url-status=live |website=[[Ofcom]]}}</ref> | |||
https://www.ofcom.org.uk/online-safety/protecting-children/investigation-into-youngtek-solutions-ltds-compliance-with-the-duty-to-prevent-children-from-encountering-pornographic-content-through-the-use-of-age-assurance | |||
===Customer Profiling=== | ===Customer Profiling=== | ||