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What Would Dad Say.

Notice at Collection (California Residents)

Last updated: 2026-04-25

DRAFT — for counsel review only. Not a final, published document.

Applicability gate: This notice is required under California Civil Code §1798.100(b) (as amended by CPRA) only if What Would Dad Say LLC meets the CCPA/CPRA threshold for a "business" (25,000 or more California consumers' personal information annually, or derives 50% or more of annual revenue from selling/sharing personal information, or buys/sells/shares the personal information of 100,000 or more consumers or households annually — Cal. Civ. Code §1798.140(d)). Counsel must confirm threshold applicability before this notice is published or displayed.


This notice is provided to California residents pursuant to the California Consumer Privacy Act of 2018, as amended by the California Privacy Rights Act of 2020 (collectively, "CCPA/CPRA"), Cal. Civ. Code §1798.100(b).

Categories of personal information collected

At or before the point at which What Would Dad Say LLC, a Pennsylvania limited liability company ("we," "us," or "our") collects your personal information on this website (https://whatwoulddadsay.app), we are required to disclose the categories of personal information collected and the purposes for which those categories will be used.

Category (CCPA/CPRA statutory category)Examples collected on this SiteBusiness or commercial purpose(s)
Identifiers (Cal. Civ. Code §1798.140(v)(1)(A))Email address submitted via the waitlist / early-access signup formSending pre-launch updates and transactional communications you requested; creating an account upon launch
Internet or other electronic network activity information (Cal. Civ. Code §1798.140(v)(1)(F))Pages visited; links clicked; session duration; approximate location derived from IP address; browser and device metadata collected via analytics cookies (GA4, PostHog)Understanding how visitors interact with the Site; improving Site content and performance
Commercial information — inferred preferences (Cal. Civ. Code §1798.140(v)(1)(D))Ad click identifiers; conversion signals; cookie identifiers linked to advertising accounts (Meta Pixel, Google Ads)Measuring advertising campaign effectiveness; delivering or measuring targeted advertising

{{TODO: Verify that this table matches the completed data-inventory.md before publication. Additional categories may apply depending on data flows not yet documented.}}

Will this personal information be sold or shared?

{{TODO: Counsel must determine whether the operation of Meta Pixel and Google Ads on the Site constitutes "sharing" of personal information for cross-context behavioral advertising purposes under Cal. Civ. Code §1798.140(ah). If yes, this notice must affirmatively state that personal information is "shared" (even without monetary exchange) and must provide a link to the opt-out mechanism required by Cal. Civ. Code §1798.120 and §1798.135. See also legal/do-not-sell-opt-out.md.}}

We do not sell your personal information for money. We {{TODO: Insert "do not share" OR "may share" your personal information for cross-context behavioral advertising, depending on counsel's determination above}}.

Your California privacy rights

California residents have the right to:

To submit a privacy request, contact us at:

For our full privacy practices, see our Privacy Policy.