This policy supersedes all prior versions of the Sensory Bridges, Inc. Website Privacy Policy.
Sensory Bridges, Inc. (“Sensory Bridges,” “we,” “our,” or “us”) is a corporation organized under the laws of the State of Tennessee, headquartered in Chattanooga, Tennessee. We develop the Brooks Band™, an assistive technology wearable platform designed for neurodivergent individuals as defined under the Individuals with Disabilities Education Act (IDEA), 20 U.S.C. § 1401(1).
This Website Privacy Policy (“Policy”) explains how we collect, use, disclose, retain, and protect information obtained through the Site.
When you interact with our Site, you may voluntarily provide information including:
When you visit the Site, certain information is collected automatically through cookies, pixels, and similar tracking technologies deployed by our hosting platform and any analytics services. This may include:
This automatically collected data, when linked or reasonably linkable to an individual, constitutes personal information under applicable state privacy laws including, without limitation, the California Consumer Privacy Act (Cal. Civ. Code § 1798.140(v)), the Tennessee Information Protection Act (T.C.A. § 47-18-3202), and the Kentucky Consumer Data Protection Act (K.R.S. § 367.3672).
The Site content relates to products and services for neurodivergent individuals. Browsing activity on content related to disability or neurodivergence may constitute sensitive personal information under certain state laws, including the California Consumer Privacy Act (Cal. Civ. Code § 1798.140(ae)) and the Tennessee Information Protection Act (T.C.A. § 47-18-3201(28)). To the extent that automatically collected browsing data (such as page URLs and navigation paths) reveals that a visitor has viewed disability-related content, Sensory Bridges treats such data as sensitive personal information and applies the following heightened protections:
We do not collect, through the Site, any of the following: Social Security numbers; financial account numbers; government-issued identification numbers; precise geolocation data; genetic data; biometric data; racial or ethnic origin; religious beliefs; sexual orientation or gender identity; or the contents of private communications.
The Site does not collect:
We use information collected through the Site for the following purposes and no others:
We do not use personal information collected through the Site for:
The Site uses the following third-party service providers that may receive, process, or have access to personal information collected through the Site. Sensory Bridges requires each provider to be bound by contractual terms, data processing agreements, or enforceable terms of service that restrict the use of personal information to the sole purpose of providing services to Sensory Bridges. Where a provider’s standard terms of service govern data handling, Sensory Bridges has reviewed those terms to confirm they include restrictions on the use, disclosure, and retention of personal information consistent with this Policy.
| Provider | Purpose | Data Received | Privacy Policy |
|---|---|---|---|
| Webflow, Inc. | Website hosting, content delivery, form processing | Browsing data, cookies, IP address, form submissions | webflow.com/legal/privacy |
| Airtable (Formagic, Inc.) | Form submission intake and applicant tracking | Name, email, organization, role, other form fields | airtable.com/privacy |
| Calendly, LLC | Meeting scheduling | Name, email, scheduling selections | calendly.com/privacy |
| Google LLC (Analytics) | Website usage analytics (if enabled) | Anonymized browsing behavior, device type, approximate location | policies.google.com/privacy |
| HubSpot, Inc. | CRM and email communications | Name, email, organization, communication history | legal.hubspot.com/privacy-policy |
| YouTube (Google LLC) | Embedded video content | Viewing activity, cookies (when video is played) | policies.google.com/privacy |
| GitHub, Inc. | Open-source documentation and code hosting | No personal data collected through Site | github.com/privacy |
| Canva Pty Ltd | Design and content creation (internal use) | No visitor data collected through Site | canva.com/policies/privacy-policy |
The Site may contain links to our profiles on the following social media platforms: Instagram, Facebook, TikTok, X (formerly Twitter), LinkedIn, and YouTube. If you click a link to a third-party social media platform, that platform may collect data about your activity in accordance with its own privacy policy. Sensory Bridges does not control third-party data collection on those platforms.
Sensory Bridges does not install social media tracking pixels on the Site, including but not limited to the Meta/Facebook Pixel, TikTok Pixel, LinkedIn Insight Tag, and X/Twitter Pixel.
We may disclose personal information in the following limited circumstances:
Sensory Bridges does not sell, rent, lease, or monetize personal data as defined by the California Consumer Privacy Act (Cal. Civ. Code § 1798.140(ad)). We have not sold personal data within the preceding twelve (12) months. We do not intend to sell personal data in the future. We do not enable third-party targeted advertising on any of our platforms. “Sell” as used in this Policy means selling, renting, releasing, disclosing, disseminating, making available, transferring, or otherwise communicating personal information to a third party for monetary or other valuable consideration.
The Site uses or may use the following categories of cookies:
| Category | Purpose | Can Be Disabled? |
|---|---|---|
| Strictly Necessary | Essential for basic Site functionality, security, and content delivery. Placed by Webflow hosting infrastructure. | No |
| Analytics (if enabled) | Measure Site usage to improve functionality. May include Google Analytics cookies. | Yes |
| Functional | Remember user preferences such as cookie consent choices. | Yes |
Sensory Bridges does not use advertising cookies, cross-site tracking cookies, or behaviorally targeted advertising cookies on the Site.
Non-essential cookies are not loaded until you provide affirmative consent through our cookie consent mechanism. You may withdraw consent at any time by adjusting your preferences through the cookie settings link in the Site footer or through your browser settings.
Sensory Bridges honors Global Privacy Control (GPC) signals as required by the California Consumer Privacy Act (Cal. Civ. Code § 1798.135(e)), the Colorado Privacy Act (C.R.S. § 6-1-1306), and the Connecticut Data Privacy Act (Conn. Gen. Stat. § 42-520), and as a voluntary best practice in all other jurisdictions. If your browser transmits a GPC signal, we will treat it as a valid opt-out of the sale or sharing of personal information and of non-essential cookies. Our cookie consent mechanism is configured to detect and honor GPC signals automatically.
We also honor Do Not Track (DNT) signals transmitted by your browser. When a DNT signal is detected, non-essential cookies and analytics tracking will not be activated.
You may manage or block cookies through your browser settings. For more information on managing cookies, visit:
Blocking cookies may affect Site functionality. Strictly necessary cookies cannot be disabled.
We retain personal information collected through the Site only as long as necessary to fulfill the purposes described in this Policy. Specific retention periods are:
| Data Category | Retention Period | Basis |
|---|---|---|
| Contact form submissions | 24 months from submission, unless an active business relationship exists | Business necessity; legal compliance |
| Pilot application data | Duration of pilot relationship plus 12 months for administrative closeout and legal compliance, unless subject to a specific legal retention obligation requiring a longer period | Contract performance; post-contract audit; legal compliance |
| Email communications | 24 months from last communication, unless subject to a legal hold or active contractual relationship | Business records; legal compliance; reasonable necessity for ongoing correspondence |
| Website analytics (aggregated) | 14 months (Google Analytics default) | Service improvement |
| Cookie identifiers | Per cookie expiration (see Section 5) | Technical necessity |
| Server logs (IP, access) | 90 days | Security; troubleshooting |
Upon expiration of the applicable retention period, personal information is deleted or de-identified. You may request deletion at any time as described in Section 8.
The Site is directed to adults, including educators, administrators, therapists, caregivers, investors, and partners. The Site is not directed to children under 13 years of age, and we do not knowingly collect personal information from children under 13 through the Site.
If we discover that we have inadvertently collected personal information from a child under 13 through the Site, we will promptly delete that information in accordance with COPPA, 16 C.F.R. § 312.7.
Sensory Bridges is an “operator” under COPPA because the Brooks Band™ device and platform do collect children’s data in school-based deployments. The COPPA Online Notice required under 16 C.F.R. § 312.4(d) for those data practices is published separately at sensorybridges.com/coppa-notice.
The written data retention policy required under the 2025 amended COPPA Rule (16 C.F.R. § 312.10) for children’s personal information collected through the Brooks Band™ device and platform is published in our Application and Platform Privacy Policy.
Sensory Bridges honors the privacy rights listed below regardless of whether it currently meets the applicability thresholds of each state’s comprehensive consumer data privacy law, as a matter of corporate policy. Once published, these commitments are enforceable representations under FTC Act Section 5 and applicable state unfair and deceptive acts and practices (UDAP) statutes. Sensory Bridges maintains a documented rights request intake and response procedure, a tracking system for request receipt, acknowledgment, and fulfillment, and a designated individual responsible for processing requests to ensure these commitments are operationally fulfilled.
Tennessee residents have the rights described in Section 8.1 above, effective July 1, 2025. The Tennessee Attorney General and Reporter has exclusive enforcement authority. TIPA provides a 60-day cure period before enforcement action. Sensory Bridges maintains a written privacy program designed to reasonably conform to the NIST Privacy Framework as described in T.C.A. § 47-18-3213.
California residents have the rights described in Section 8.1 above, plus the right to limit the use and disclosure of sensitive personal information under Cal. Civ. Code § 1798.121. Sensory Bridges does not sell or share personal information as defined by the CCPA.
CalSOPIPA (Cal. Bus. & Prof. Code § 22584): To the extent that the Site collects information from visitors who are K–12 students or educators acting in a school capacity, Sensory Bridges complies with the California Student Online Personal Information Protection Act, including prohibitions on using student data for non-educational purposes, targeted advertising, and profile building.
Sensory Bridges complies with the Georgia Student Data Privacy, Accessibility, and Transparency Act (O.C.G.A. § 20-2-661 through 20-2-667) for all data collected in connection with K–12 educational activities in Georgia. This includes prohibitions on selling student personally identifiable information, using student data for targeted advertising, and an obligation to maintain appropriate security procedures.
Sensory Bridges complies with the North Carolina Student Digital Learning Environment Act (N.C.G.S. § 115C-401.1) for all data collected in connection with K–12 educational activities in North Carolina.
Sensory Bridges complies with the Alabama Data Breach Notification Act (Ala. Code § 8-38-1 et seq.), which requires notification within 45 days of a breach determination.
Sensory Bridges complies with S.C. Code § 39-1-90, which requires breach notification within 30 days.
Sensory Bridges complies with the Florida Student Records provisions (F.S. § 1002.222) and the Florida Information Protection Act (F.S. § 501.171), which requires breach notification within 30 days.
Kentucky residents have the rights described in Section 8.1 above, effective January 1, 2026. The Kentucky Attorney General has exclusive enforcement authority with a 30-day cure period.
Sensory Bridges complies with New York Education Law § 2-d for all data collected in connection with K–12 educational activities in New York. Sensory Bridges also complies with the New York SHIELD Act (GBL § 899-aa), including the requirement to implement reasonable safeguards and provide breach notification within 30 days (as amended December 2024). Sensory Bridges complies with the New York Child Data Protection Act (NYCDPA) provisions applicable to operators of online services used by minors.
Sensory Bridges complies with Vermont’s breach notification statute (9 V.S.A. § 2435), which requires notification within 45 days. If Sensory Bridges meets the definition of a “data broker” under 9 V.S.A. § 2430, it will register with the Vermont Secretary of State as required.
To exercise any right described above, contact us at:
Email: privacy@sensorybridges.com
Subject Line: “Privacy Rights Request — [Your State]”
We will acknowledge your request within ten (10) business days and respond substantively within forty-five (45) calendar days. If additional time is needed, we will notify you within the initial 45-day period and may extend the response period by an additional 45 days.
We will verify your identity before fulfilling any request by matching information you provide with information we have on file. We will not require you to create an account to exercise your rights.
If we decline your request, you have the right to appeal. To appeal, email privacy@sensorybridges.com with the subject line “Privacy Rights Appeal.” We will respond to appeals within sixty (60) days.
Sensory Bridges implements commercially reasonable administrative, technical, and physical safeguards to protect personal information. These measures include:
The designated security coordinator responsible for maintaining the information security program as required by applicable law (including the NY SHIELD Act) is the CEO, Sensory Bridges, Inc. Inquiries regarding security practices may be directed to privacy@sensorybridges.com.
No method of electronic transmission or storage is 100% secure, and we cannot guarantee absolute security.
In the event of a breach of security involving personal information, Sensory Bridges will provide notification in compliance with applicable federal and state law. The following table summarizes notification requirements by state:
| State | Statute | Notification Deadline |
|---|---|---|
| Tennessee | T.C.A. § 47-18-2107 | 60 days |
| Georgia | O.C.G.A. § 10-1-912 | Without unreasonable delay |
| Alabama | Ala. Code § 8-38-5 | 45 days |
| North Carolina | N.C.G.S. § 75-65 | Without unreasonable delay |
| South Carolina | S.C. Code § 39-1-90 | 30 days |
| Florida | F.S. § 501.171 | 30 days |
| Kentucky | K.R.S. § 365.732 | 60 days |
| Vermont | 9 V.S.A. § 2435 | 45 days |
| California | Cal. Civ. Code § 1798.82 | Most expedient time possible |
| New York | GBL § 899-aa (SHIELD Act) | 30 days |
In all cases, the notification deadline runs from the date Sensory Bridges determines that a breach has occurred. Notification will include the nature of the breach, the categories of data affected, and the steps individuals may take to protect themselves.
The Site may contain links to third-party websites, applications, or services not operated by Sensory Bridges, including social media profiles and scheduling tools. We are not responsible for the privacy practices, content, or data security of any third-party site. We encourage you to review the privacy policy of any third-party site before providing personal information.
Embedded video content on the Site may be hosted by YouTube or other video platforms. By playing embedded video content, the hosting platform may collect data about your viewing activity in accordance with its own privacy policy. Sensory Bridges does not control third-party data collection from embedded media. You can manage your cookie preferences at any time through the Site footer.
We may update this Website Privacy Policy from time to time. When we make changes, we will:
Your continued use of the Site after the effective date of non-material changes constitutes your acceptance of the updated Policy. For material changes — including changes to data collection practices, disclosure practices, data retention periods, or children’s privacy protections — Sensory Bridges will obtain affirmative acknowledgment from affected individuals (where their contact information is on file) before the changes take effect. Where required by COPPA, new parental consent will be obtained before any material change to the collection, use, or disclosure of children’s personal information. If you do not agree with any changes, discontinue use of the Site and contact us to request deletion of your personal information.
Sensory Bridges is committed to ensuring that this Privacy Policy and the Site are accessible to individuals with disabilities. We strive to meet WCAG 2.2 Level AA standards. If you experience difficulty accessing any portion of this Policy or the Site, please contact us at privacy@sensorybridges.com and we will work to provide the information in an alternative format.
Sensory Bridges, Inc.
100 Cherokee Blvd., Suite 213
Chattanooga, TN 37405
Email: privacy@sensorybridges.com
Phone: 423-401-0655
For complaints regarding children’s privacy, you may contact the Federal Trade Commission at www.ftc.gov or 1-877-FTC-HELP.
For complaints regarding student data privacy under FERPA, you may contact the Student Privacy Policy Office (SPPO), U.S. Department of Education, 400 Maryland Avenue SW, Washington, DC 20202-8520.
Tennessee residents may file complaints with the Tennessee Attorney General, Division of Consumer Affairs, P.O. Box 20207, Nashville, TN 37202-0207.
© 2026 Sensory Bridges, Inc. All rights reserved.