Airtasker
Technology & SaaS
Clear notification mechanisms for material changes, specific contact details for different jurisdictions, complaint handling timeframes, and current version dating. However, lacks specific review frequency commitments and named privacy officer details. Overall: Good with minor gaps.
10 dimensions · 77 claims · assessed 19 May 2026 · methodology · source policy ↗
Score Breakdown
Transparency
Good with minor gaps
7/107/10
Transparency
Good with minor gaps
Transparency & Clarity
7/10Policy provides clear scope statements, specific contact information for different jurisdictions, current version date, and basic definitions. However, lacks a comprehensive table of contents or detailed introductory summary highlighting key commitments.
Purpose Limitation & Use
7/10Extensive list of primary purposes with legal basis provided, clear marketing opt-out mechanisms, and disclosure of secondary uses including profiling and analytics. However, purposes are quite broad and could be more specific in some areas.
Policy Maintenance & Accountability
7/10Clear notification mechanisms for material changes, specific contact details for different jurisdictions, complaint handling timeframes, and current version dating. However, lacks specific review frequency commitments and named privacy officer details.
Data Protection
Good with minor gaps
7.11/107.11/10
Data Protection
Good with minor gaps
Data Collection Disclosure
8/10Comprehensive disclosure of data collection methods including direct registration, automated collection, location data, third-party sources, and sensitive information. Provides granular enumeration of specific data types collected and clear collection contexts with consent mechanisms.
Third-Party Sharing & Disclosure
8/10Detailed disclosure of sharing categories and named third parties including Google, Meta, TikTok, and payment processors. Clearly states purposes for sharing, consent requirements for marketing initiatives, and includes specific circumstances for law enforcement and business transfers.
Data Security
4/10Limited security disclosures with explicit disclaimers about encryption not being guaranteed and inability to warrant absolute security. Mentions reasonable steps but lacks specific technical measures, certifications, or breach notification commitments.
Cross-Border Data Flows
8/10Specific disclosure of transfers to Australia and other countries, implementation of standard contractual clauses between entities, adequacy decision mechanisms, and clear safeguards for EEA/UK transfers with named approval authorities.
Your Rights
Good with minor gaps
7.2/107.2/10
Your Rights
Good with minor gaps
Consumer Rights & Control
8/10Comprehensive rights framework with specific mechanisms for access, correction, deletion, and marketing opt-out. Includes clear timeframes for responses (30 business days, 1 month for GDPR), complaint escalation to OAIC with contact details, and withdrawal of consent rights.
Automated Decision-Making
6/10Acknowledges use of automated decision-making and profiling with assurance of no legal/significant impact. Describes specific uses for analytics and ad targeting but lacks transparency about decision logic and limited opt-out mechanisms beyond general objection rights.
Children's Data
8/10Clear age restriction (18 years), explicit prohibition on collecting data from minors, dedicated children's privacy section, and specific reporting mechanism for violations. Comprehensive approach exceeding basic requirements.
Sector Comparison
Technology & SaaS comparison