AESOP AI Academy does not collect K–12 student data. Our platform serves educators and professionals — here is how student privacy is protected by design, and what that means for institutional procurement.
Our platform is designed for educators, administrators, and professionals — not K–12 students. When a district deploys Aesop for educator professional development, no student data flows to us. FERPA governs how vendors handle student education records; because we hold none, it does not apply to our platform as a data-handler obligation.
Districts often ask whether a student-data DPA is required. Because we hold no student education records, a student-data DPA is not applicable. We provide a Service Agreement for institutional deployments covering educator-user accounts, usage terms, and accountability commitments.
AESOP AI Academy is designed for adult learners — educators, administrators, and professionals. Our platform is not directed at children under 13, and we do not knowingly collect data from users under 13. Full details are in our Privacy Notice.
The following commitments apply to all deployments, regardless of institution size or contract type:
| Commitment | Our Position |
|---|---|
| Collect K–12 student education records | ✗ Never |
| Collect data from users under 13 | ✗ Never |
| Sell or commercially share any learner data | ✗ Never |
| Use data for behavioral advertising | ✗ Never |
| Build learner profiles for non-educational purposes | ✗ Never |
| Share learner data with data brokers | ✗ Never |
| Allow users to access and delete their account data | ✓ Yes, on request |
| Notify institutions of data breaches | ✓ Within 72 hours of discovery |
| Provide a Service Agreement for institutional deployments | ✓ Available on request |
| Support state privacy laws (SOPIPA, etc.) | ✓ Yes |