WD-P3P10-harmonization-19980330
P3P Harmonized Vocabulary Specification
W3C Working Draft 30-March-1998
-
This Version:
-
http://www.w3.org/TR/1998/WD-P3P10-harmonization-19980330
-
Latest Version:
-
http://www.w3.org/TR/1998/WD-P3P10-harmonization
-
Previous Version:
-
Please see drafts at the
Harmonizaton
WG Page.
[Member
only]
-
Editor:
-
Joseph Reagle (W3C) reagle@w3.org
Status of This Document
This is a W3C Working Draft for review by W3C members and other interested
parties. It is a draft document and may be updated, replaced or obsoleted
by other documents at any time. It is inappropriate to use W3C Working Drafts
as reference material or to cite them as other than "work in progress." A
list of current W3C working drafts can be found at:
http://www.w3.org/TR/
This draft specification is a stable, final, deliverable from the P3P Harmonized
Vocabulary Working Group but it is part of a work in progress. At this
point, it is not intended to be independently advanced toward W3C recommendation
status, but rather it will be used along with the:
-
P3P Protocol White Paper
-
P3P Implementation Guide
and the previous two working drafts:
as a basis for the P3P1.0 specification.
This draft document will be considered by W3C and its members according to
W3C process. This document is made public for the purpose of receiving comments
that inform the W3C membership and staff on issues likely to affect the
acceptance and adoption of the P3P. Comments should be sent to
p3p-comments@w3.org.
This document is part of the Platform for
Privacy Preferences Project Activity.
Table of Contents
-
Purpose
-
Compliance Requirements
-
Definitions
-
Data Categories: a type, or quality of specific
data element such as last_name.
-
Data Collection Purposes: the purpose
of the data collection
-
Qualifications on Purposes: additional
information on how the purpose is realized
-
General Disclosures: describe the user's
capabilities to further understand a service provider's practices
-
Acknowledgements
1 Purpose
The purpose of this document is to specify and define a "harmonized" P3P
vocabulary. Although P3P can support multiple schemas (vocabularies), the
use of common vocabularies for describing privacy practices across
implementations increases P3P's ultimate effectiveness. Therefore, this document
includes vocabulary elements useful for expressing privacy policies reflective
of a diversity of privacy laws, self-regulatory
norms, and cultural notions about privacy. This vocabulary can be used to
express policies as diverse as anonymous browsing to the provision of
personalized Web content and services. However, P3P implementations need
not restrict themselves solely to vocabularies defined within this document.
Note, in addition to the terms specified in the harmonized vocabulary, P3P
requires services to specify in their proposals the
service provider's identity, an experience space to which their practices
apply (e.g., realm: http://www.w3.org), the location at
which users can find a human-readable explanation of the service's privacy
policies (policy-URI) and an optional human-readable description
of the result (e.g., consequence: "to offer customized sports
updates").
Security issues and protocols are not addressed by
this document. Information about the characteristics and strength of those
protocols is critical to a user's decision regarding the transmission of
information. However, an assumption of P3P is that communication and storage
security is achieved through means other than P3P itself (such as SSL).
Comment: Much of the work done on this schema was conducted
under significant time pressure. Accordingly, there is interest from members
of the working group to have some of these issues revisited in the future
by the W3C or other entities as appropriate. |
2 Compliance Requirements
This specification is a representation of a rough, inclusive consensus from
the Harmonization WG -- meaning that which is specified is recommended as
a minimal set of terms. The recommendation and requirements are offset in
a colored table. Requirements are expressed over variables which the
WG thinks values must be defined for in order to be a valid P3P proposal.
Products must support the ability to parse and act upon all the variables
defined, though we do not specify the way such values need to be acted upon
or presented in a graphical user interface; these are left to implementations
and user configuration -- which is addressed in the P3P Implementation Guide.
3 Definitions
-
Personally Identifiable Data
-
Data that is used to identify, contact, or locate a person. This includes
data from which other personally identifying data can easily be derived.
This definition focuses on use because it is difficult to determine whether
certain data or combinations of data are personally identifiable without
information about the context. For example, whether an IP address is static
or randomly generated will influence whether it can be used to identify a
person -- see Identifiable Use for more of
an explanation.
-
Purpose
-
The reason(s) for data collection and use.
-
Practice
-
The set of disclosures regarding data usage, including purpose, identifiable
use, recipients and other disclosures.
-
Equable Practice
-
A practice that is very similar to another in that the purpose, recipients,
and identifiable use are the same or more constrained than the original (a
lower value), and the other disclosures are not substantially different.
For example, two sites with otherwise similar practices that follow different
-- but similar -- sets of industry guidelines. )
-
Service Provider (Data Controller)
-
The person or organization which offers information, products or services
from a Web site, collects information, and is responsible for the representations
made in a practice statement.
4 Data Categories
A data category is a quality of a data element or class that may be used
by the user's agent to determine what type of element is under discussion.
Recommendation: Service providers may use data categories to describe
data elements or data sets. If a service provider requires a representation
of data that is not otherwise referenceable in an easily understood way,
we recommend the following terms be used according to their corresponding
definitions.
Status: Optional: select all that apply. |
0 |
-
Physical Contact Information
-
Information that allows an individual to be contacted or located in the physical
world -- such as phone number or address.
|
1 |
-
Online Contact Information
-
Information that allows an individual to be contacted or located on the Internet
-- such as email. Often, this information is independent of the specific
computer used to access the network. (See
Computer Information)
|
2 |
-
Unique Identifiers
-
Non-financial identifiers issued for purposes of consistently identifying
the individual -- such as SSN or Web site IDs.
|
3 |
-
Financial Account Identifiers
-
Identifiers that tie an individual to a financial instrument, account, or
payment system -- such as a credit card or bank account number.
|
4 |
-
Computer Information
-
Information about the computer system that the individual is using to access
the network -- such as the IP number, domain name, browser type or operating
system.
|
5 |
-
Navigation and Click-stream Data
-
Data passively generated by browsing the Web site -- such as which
pages are visited, and how long users stay on each page.
|
6 |
-
Transaction Data
-
Data actively generated from or reflecting explicit interactions with a service
provider through its site -- such as queries to a search engine, logs of
account activity, or purchases made on the Web.
|
7 |
-
Demographic and Socio-economic Data
-
Data about an individual's characteristics -- such as gender, age, and income.
|
8 |
-
Preference Data
-
Data about an individual's likes and dislikes -- such as favorite color or
musical tastes.
|
9 |
-
Content
-
The words and expressions contained in the body of a communication -- such
as the text of email, bulletin board postings, or chat room communications.
|
5 Purposes Defined
The following specifies and defines a set of six purposes for data processing
relevant to the Web.
Recommendation: Service providers must use the following terms
to explain the purpose of data collection. Service providers must disclose
all that apply over the data elements or classes they collect. If a service
provider does not disclose that a data element is used for a given purpose,
that is a representation that data is not used for that purpose. Service
providers that disclose that they use data for "other" purposes should provide
human readable explanations of those purposes.
Status: Required: select all that apply. |
0 |
-
Completion and Support of Current Activity
-
The use of information by the service provider to complete the activity
for which it was provided, such as the provision of information, communications,
or transaction services -- for example to return the results from a Web search,
to forward email, or place an order.
|
1 |
-
Web Site and System Administration
-
The use of information solely for the technical support of the Web site and
computer system. This would include processing computer account information,
and information used in the course of securing, , and maintaining the site.
|
2 |
-
Customization of Site to Individuals
-
The use of information to tailor or modify the content or design of the site
to the particular individual.
|
3 |
-
Research and Development
-
The use of information to enhance, evaluate, or otherwise review the site,
service, product, or market. This does not include personal information used
to tailor or modify the content to the specific individual nor information
used to evaluate, target, profile or contact the individual.
|
4 |
-
Contacting Visitors for Marketing of Services or Products
-
The use of information to contact the individual for the promotion of a product
or service. This includes notifying visitors about updates to the Web site.
|
5 |
-
Other Uses
-
The use of information not captured by the above definitions. (A human readable
explanation should be provided in these instances.)
|
6 Purpose Qualifiers
Qualifiers are appended to a purpose to provide additional information on
how the purpose is realized with respect to a data element or set of data
elements. To simplify practice declaration, service providers may
promote such qualifications over aggregations (or all) of the data
and their purposes. In that case, the highest value that applies to any purpose
of the collection should be used for the resulting qualification.
-
Identifiable Use
-
Is data used in a way that is personally identifiable -- including linking
it with identifiable information about you from other sources? While some
data is obviously identifiable, such as (full_name), other data, such as
(zip_code, salary, birth_date), could allow a person to be identified. Also,
a technically astute person in some circumstances could determine the identity
of a user from the IP number in a HTTP log. This requires a specific effort
and is based on how that IP number is registered, whether it is used by more
than one person on a computer, or if it is dynamically allocated by an internet
service provider. Consequently, we refrain from defining any particular data
or set of data as identifiable and focus on whether it is used in an identifiable
way.
If identifiable is applied over an aggregation of data (promoted), this means
that "some data is used in identifiable form."
Recommendation: Services must disclose the Identifiable
qualifier.
Status: Required: select one. |
-
-
0 No
1 Yes
-
Recipients (Domain of Use)
-
The recipients defines an organizational area, or domain,
beyond the service provider and its agents where data may be distributed.
-
If recipients is applied over an aggregation of data (promoted),
this means that "some of the data is distributed to [the highest valued option]."
For instance, if all data but the telephone numbers is used by only
"organizations following our practices," and the telephone number is used
by "organizations following different practices," the service provider has
the option of generically stating "data is distributed to organizations following
different practices."
Recommendation: Services must disclose the Recipients
qualifier.
Status: Required: select all that apply.
Comment: Creating a set of values which are simple, informative to
the user, and accurate for service provider representations is very challenging
and the WG is not completely satisfied with the results. For instance, the
issue of transaction facilitators, such as shipping or payment processors,
who are necessary for the completion and support of the activity but may
follow different practices was problematic. As it stands, such organizations
should be represented in whichever category most accurately reflects their
practices with respect to the original service provider. |
|
0 |
-
Only ourselves and our agents
-
Ourselves and our agents. We define an agent as a third party that processes
data only on behalf of the service provider for the completion of the stated
purposes. (e.g., a printing bureau that prints address labels and does nothing
further with the information.)
|
|
1 |
-
Organizations following our practices
-
Organizations who use the data on their own behalf under
equable practices. (e.g. data is shared with
a partner who offers complementary products or accessories, but since they
do not retain the data they consequently cannot provide access to it.)
|
|
2 |
-
Organizations following different practices
-
Organizations that are constrained by and accountable to the original service
provider, but may use the data in a way not specified in the service provider's
practices. (e.g. data is shared with a partner who may also use data for
research and development.)
|
|
3 |
-
Unrelated third parties or public fora
-
Organizations or fora whose data usage practices are not known by the original
service provider. (e.g. data is provided as part of a commercial CD-ROM
directory, or it is posted on a public on-line Web directory.)
|
7 General Disclosures
The following are general disclosures about the policies of the service provider.
Further information on the policies would be found at the policy-URI.
-
Access to Identifiable Information
-
the ability of the individual to view identifiable information and address
questions or concerns to the service provider.
Recommendation: Service providers must disclose the Access
capabilities associated with data collection. The methods of access is not
specified. If data is said to be used in an identifiable form elsewhere in
a statement, this disclosure applies to it. This is not meant to imply that
access to all data is possible, but that some of the data may be accessible
and that the user should communicate further with the service provider to
determine what capabilities they have.
Status: Required: select all that apply.
Comment: Service providers may also wish to provide capabilities
to access to information collected through means other than the Web at the
policy-URI. However, the scope of P3P statements
are limited to data collected through HTTP or other Web transport protocols.
Also, if access is provided through the Web we recommend the use of strong
authentication and security mechanisms for such access, however security
issues are outside the scope of this document. |
-
0 Identifiable Data is Not Used
-
[this should be consistent with the use of the identifiable qualifier].
-
1 Identifiable Contact Information
-
access is given to identifiable online and physical contact information (e.g.,
users can access things such as a postal address).
-
2 Other Identifiable Information
-
access is given to other information linked to an identifiable person. (e.g.,
users can access things such as a their online account charges).
-
3 None
-
no access to identifiable information is given.
-
Assurance (accountability)
-
Does the site have an assuring party that attests that the
service will abide by its proposal, follows guidelines in the processing
of data, or other relevant assertions. Assurance may come from the service
provider or an independent assuring party.
Status: Required: select one.
-
Comment: This should be used consistently with the assurance
field which is defined elsewhere in the Protocol White Paper.
|
-
0 No there is no disclosure with respect
to assurance.
1 Yes there is an assurance mechanism, please
see our disclosure.
-
-
Other_Disclosures
-
Are Disclosures Made with respect to the following:
Recommendation: If a site wishes to signfy in a proposal
that it makes a disclosure about change_agreement, or retention, it may do
so with the following. No disclosure means that the service provider makes
no representation of a policy on that topic.
Status: Optional: select all that apply.
Comment: Some members of the working group felt that 1)
disclosures could be made about other topics such as security (see the
purpose section), 2) more specific values should
be provided, and 3) that such disclosures should be required. However, a
strong consensus for this could not be reached in the available time. |
-
0 Change_Agreement
-
Does the service provider make a disclosure regarding the capability for
the user to cancel, or renegotiate the existing agreement at a future time?
-
1 Retention
-
Does the service provider make a disclosure on how long data is retained?
8 Acknowledgements
-
Liz Blumenfeld, America Online
-
Ann Cavoukian, Information and Privacy Commission/Ontario
-
Scott Chalfant, Matchlogic
-
Lorrie Cranor, AT&T
-
Jim Crowe, Direct Marketing Association
-
Josef Deitl, World Wide Web Consortium
-
David Duncan, Information and Privacy Commission/Ontario
-
Melissa Dunn, Microsoft
-
Patricica Faley, Direct Marketing Association
-
Marit Köhntopp, Privacy Commissioner of Schleswig-Holstein, Germany
-
Tony LAM, Hong Kong Privacy Commissioner's Office
-
Tara Lemmey, Narrowline
-
Jill Lesser, America Online
-
Steve Lucas, Matchlogic
-
Deirdre Mulligan, Center for Democracy and Technology
-
Nick Platten, Data Protection Consultant (formerly of DG XV, European Commission)
-
Joseph Reagle, World Wide Web Consortium
-
Ari Schwartz, Center for Democracy and Technology
-
Jonathan Stark, TRUSTe
_________
Copyright © 1998
W3C
(MIT,
INRIA,
Keio ), All Rights Reserved. W3C
liability,
trademark,
document
use and
software
licensing rules apply.