LexVibe
Oregon
In force since 1 July 2024

OCPA compliance for an AI writing tool

Oregon Consumer Privacy Act. This page applies it to one kind of product (AI writing tool), so you get the obligations that are actually yours instead of a summary of the whole statute.

Does it apply to you?

100,000+ Oregon consumers, or 25,000+ with revenue from selling data.

What an AI writing tool typically processes

  • user text sent to a model provider for completion
  • drafts and history stored per account
  • usage metering for billing

Each of these is processing you have to disclose. Adding an SDK later adds to this list — which is why a policy written once goes stale.

Documents you need

The intersection of what OCPA requires and what an AI writing tool actually does:

  • Privacy policy

Rights you must honour

OCPA gives people in Oregon the right to:

  • Access a copy of their data
  • Correct inaccurate data
  • Have their data deleted
  • Receive their data in a portable format
  • Opt out of the sale or sharing of their data
  • Opt out of profiling and targeted advertising
  • Not be discriminated against for exercising a right

Cookies and trackers

Trackers may load by default, but the visitor needs a working way to opt out, and you must honour it.

OCPA also requires you to honour a universal opt-out signal, so a browser sending Global Privacy Control must be treated as having opted out — without the visitor clicking anything.

See what your site is actually missing

Paste your URL. We fetch the live page, detect the trackers, payments and AI calls that really ship to visitors, and tell you which documents and consent you need. No signup.

No signup · result in seconds

Primary sources

Everything we track about OCPA

OCPA for other kinds of product

Other frameworks for an AI writing tool

This page is an engineering summary of publicly available regulatory requirements, generated from LexVibe's framework registry — not legal advice. Every framework links to its official text so you can check it yourself. For decisions about your own compliance posture, consult the primary sources and a lawyer qualified in the relevant jurisdiction.