Bridg, a division of Cardlytics, Inc.

Bridg, a division of Cardlytics, Inc. is a registered data mining company located in Atlanta, GA. Bridg, a division of Cardlytics, Inc. engages in the collection of personal information, which may include: financial status; health status; immigration status; sexual orientation; children’s personal information; biometric data; geolocation data; reproductive health care data; public records data; and court judgment data. Bridg, a division of Cardlytics, Inc. sells, for profit, certain personal information to customers, of which type may include: private businesses; law enforcement agencies; state governments; the U.S. federal government; foreign entities; and artificial intelligence (AI) developers. (See below for the specific data collection and sales practices of Bridg, a division of Cardlytics, Inc..)

To opt-out of data collection and sale by Bridg, a division of Cardlytics, Inc., individual consumers must submit their request to Bridg, a division of Cardlytics, Inc. directly. California residents may use the state’s Delete Request and Opt-Out Platform (DROP) to submit a single request that forces Bridg, a division of Cardlytics, Inc., as well as +600 registered data brokers, to delete and stop selling their data. (If you don’t live in California, you must submit removal requests directly through the privacy portal of each data mining company.)

In addition, all Americans have access to their special credit reports and special credit scores. These companies maintain consumer files relating to medical records and payments; residential and tenant history; banking and checking writing history; employment and work history; and insurance claims history (auto, property, life, long-term care, disability). View the Directory of Special Credit Reporting Agencies to request your files and scores.

Company Details

NAME

Bridg, a division of Cardlytics, Inc.

DOING BUSINESS AS

Bridg, a division of Cardlytics, Inc.;

Company Contact Information

PRIMARY WEBSITE

www.bridg.com

 

EMAIL

legalnotices@cardlytics.com

 

PHONE

(888) 798-5802

 

 

ADDRESS

675 Ponce de Leon Avenue, Suite 4100

Atlanta, GA 30308

UNITED STATES

 

PRIVACY WEBSITE

https://www.bridg.com/privacy-policy

 

What Types of Data does Bridg, a division of Cardlytics, Inc. Collect?

  • Bridg, a division of Cardlytics, Inc. collects personal information of minors: No.
  • Bridg, a division of Cardlytics, Inc. collects consumers’ account logins or numbers with security codes that grant access to third‑party accounts: No.
  • Bridg, a division of Cardlytics, Inc. collects consumers’ government‑issued identification numbers used to verify an individual’s identity: No.
  • Bridg, a division of Cardlytics, Inc. collects consumers’ citizenship data, including immigration status: No.
  • Bridg, a division of Cardlytics, Inc. collects consumers’ union membership status: No.
  • Bridg, a division of Cardlytics, Inc. collects consumers’ sexual orientation status: No.
  • Bridg, a division of Cardlytics, Inc. collects consumers’ gender identity and gender expression data: No.
  • Bridg, a division of Cardlytics, Inc. collects consumers’ biometric data: No.
  • Bridg, a division of Cardlytics, Inc. collects consumers’ precise geolocation: No.
  • Bridg, a division of Cardlytics, Inc. collects consumers’ reproductive health care data: No.

What Categories of Customers does Bridg, a division of Cardlytics, Inc. Sell To?

  • Bridg, a division of Cardlytics, Inc. shared or sold consumers’ data to a foreign actor in the past year: No.
  • Bridg, a division of Cardlytics, Inc. shared or sold consumers’ data to the federal government in the past year: No.
  • Bridg, a division of Cardlytics, Inc. shared or sold consumers’ data to other state governments in the past year: No.
  • Bridg, a division of Cardlytics, Inc. shared or sold consumers’ data to law enforcement in the past year, except when required by subpoena or court order: No.
  • Bridg, a division of Cardlytics, Inc. shared or sold consumers’ data to a developer of a generative artificial intelligence (AI) system or model in the past year: No.

Do Other Data Protection Laws Apply to Bridg, a division of Cardlytics, Inc.?

  • Is Bridg, a division of Cardlytics, Inc. or any of its subsidiaries is regulated by the federal Fair Credit Reporting Act: No.
  • If Bridg, a division of Cardlytics, Inc. or its subsidiaries are regulated by the FCRA, describe the types of personal information covered:
  • If Bridg, a division of Cardlytics, Inc. or its subsidiaries are regulated by the FCRA, describe the specific products or services covered:
  • If Bridg, a division of Cardlytics, Inc. or its subsidiaries are regulated by the FCRA, describe the percentage of data activities covered:
  • Is Bridg, a division of Cardlytics, Inc. or any of its subsidiaries is regulated by the Gramm‑Leach‑Bliley Act (GLBA) and implementing regulations: No.
  • If Bridg, a division of Cardlytics, Inc. or its subsidiaries are regulated by the GLBA, describe the types of personal information covered:
  • If Bridg, a division of Cardlytics, Inc. or its subsidiaries are regulated by the GLBA, describe the specific products or services covered:
  • If Bridg, a division of Cardlytics, Inc. or its subsidiaries are regulated by the GLBA, describe the percentage of data activities covered:
  • Is Bridg, a division of Cardlytics, Inc. or any of its subsidiaries is regulated by the California Insurance Information and Privacy Protection Act (IIPPA): No.
  • If Bridg, a division of Cardlytics, Inc. or its subsidiaries are regulated by the IIPPA, describe the types of personal information covered:
  • If Bridg, a division of Cardlytics, Inc. or its subsidiaries are regulated by the IIPPA, describe the specific products or services covered:
  • If Bridg, a division of Cardlytics, Inc. or its subsidiaries are regulated by the IIPPA, describe the percentage of data activities covered:
  • Is Bridg, a division of Cardlytics, Inc. or any of its subsidiaries is regulated by the California Confidentiality of Medical Information Act (CMIA): No.
  • If Bridg, a division of Cardlytics, Inc. or its subsidiaries are regulated by the CMIA, describe the types of personal information covered:
  • If Bridg, a division of Cardlytics, Inc. or its subsidiaries are regulated by the CMIA, describe the specific products or services covered:
  • If Bridg, a division of Cardlytics, Inc. or its subsidiaries are regulated by the CMIA, describe the percentage of data activities covered:
  • Is Bridg, a division of Cardlytics, Inc. or its subsidiaries are regulated by the HIPAA privacy, security, and breach‑notification rules: No.
  • If Bridg, a division of Cardlytics, Inc. or its subsidiaries are regulated by HIPAA, describe the types of personal information covered:
  • If Bridg, a division of Cardlytics, Inc. or its subsidiaries are regulated by HIPAA, describe the specific products or services covered:
  • If Bridg, a division of Cardlytics, Inc. or its subsidiaries are regulated by HIPAA, describe the percentage of data activities covered:

Did Bridg, a division of Cardlytics, Inc. Provide Additional Context or Comments?

No.

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